81_FR_39563 81 FR 39447 - Medicare and Medicaid Programs; Hospital and Critical Access Hospital (CAH) Changes To Promote Innovation, Flexibility, and Improvement in Patient Care

81 FR 39447 - Medicare and Medicaid Programs; Hospital and Critical Access Hospital (CAH) Changes To Promote Innovation, Flexibility, and Improvement in Patient Care

DEPARTMENT OF HEALTH AND HUMAN SERVICES
Centers for Medicare & Medicaid Services

Federal Register Volume 81, Issue 116 (June 16, 2016)

Page Range39447-39480
FR Document2016-13925

This proposed rule would update the requirements that hospitals and critical access hospitals (CAHs) must meet to participate in the Medicare and Medicaid programs. These proposals are intended to conform the requirements to current standards of practice and support improvements in quality of care, reduce barriers to care, and reduce some issues that may exacerbate workforce shortage concerns.

Federal Register, Volume 81 Issue 116 (Thursday, June 16, 2016)
[Federal Register Volume 81, Number 116 (Thursday, June 16, 2016)]
[Proposed Rules]
[Pages 39447-39480]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2016-13925]



[[Page 39447]]

Vol. 81

Thursday,

No. 116

June 16, 2016

Part IV





Department of Health and Human Services





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Centers for Medicare & Medicaid Services





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42 CFR Parts 482 and 485





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Medicare and Medicaid Programs; Hospital and Critical Access Hospital 
(CAH) Changes To Promote Innovation, Flexibility, and Improvement in 
Patient Care; Proposed Rule

Federal Register / Vol. 81 , No. 116 / Thursday, June 16, 2016 / 
Proposed Rules

[[Page 39448]]


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DEPARTMENT OF HEALTH AND HUMAN SERVICES

Centers for Medicare & Medicaid Services

42 CFR Parts 482 and 485

[CMS-3295-P]
RIN 0938-AS21


Medicare and Medicaid Programs; Hospital and Critical Access 
Hospital (CAH) Changes To Promote Innovation, Flexibility, and 
Improvement in Patient Care

AGENCY: Centers for Medicare & Medicaid Services (CMS), HHS.

ACTION: Proposed rule.

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SUMMARY: This proposed rule would update the requirements that 
hospitals and critical access hospitals (CAHs) must meet to participate 
in the Medicare and Medicaid programs. These proposals are intended to 
conform the requirements to current standards of practice and support 
improvements in quality of care, reduce barriers to care, and reduce 
some issues that may exacerbate workforce shortage concerns.

DATES: To be assured consideration, comments must be received at one of 
the addresses provided below, no later than 5 p.m. on August 15, 2016.

ADDRESSES: In commenting, please refer to file code CMS-3295-P. Because 
of staff and resource limitations, we cannot accept comments by 
facsimile (FAX) transmission.
    You may submit comments in one of four ways (please choose only one 
of the ways listed):
    1. Electronically. You may submit electronic comments on this 
regulation to http://www.regulations.gov. Follow the ``Submit a 
comment'' instructions.
    2. By regular mail. You may mail written comments to the following 
address ONLY: Centers for Medicare & Medicaid Services, Department of 
Health and Human Services, Attention: CMS-3295-P, P.O. Box 8010, 
Baltimore, MD 21244.
    Please allow sufficient time for mailed comments to be received 
before the close of the comment period.
    3. By express or overnight mail. You may send written comments to 
the following address ONLY: Centers for Medicare & Medicaid Services, 
Department of Health and Human Services, Attention: CMS-3295-P, Mail 
Stop C4-26-05, 7500 Security Boulevard, Baltimore, MD 21244-1850.
    4. By hand or courier. Alternatively, you may deliver (by hand or 
courier) your written comments ONLY to the following addresses prior to 
the close of the comment period:
    a. For delivery in Washington, DC--Centers for Medicare & Medicaid 
Services, Department of Health and Human Services, Room 445-G, Hubert 
H. Humphrey Building, 200 Independence Avenue SW., Washington, DC 
20201.
    (Because access to the interior of the Hubert H. Humphrey Building 
is not readily available to persons without Federal government 
identification, commenters are encouraged to leave their comments in 
the CMS drop slots located in the main lobby of the building. A stamp-
in clock is available for persons wishing to retain a proof of filing 
by stamping in and retaining an extra copy of the comments being 
filed.)
    b. For delivery in Baltimore, MD--Centers for Medicare & Medicaid 
Services, Department of Health and Human Services, 7500 Security 
Boulevard, Baltimore, MD 21244-1850.
    If you intend to deliver your comments to the Baltimore address, 
call telephone number (410) 786-9994 in advance to schedule your 
arrival with one of our staff members.
    Comments erroneously mailed to the addresses indicated as 
appropriate for hand or courier delivery may be delayed and received 
after the comment period.
    For information on viewing public comments, see the beginning of 
the SUPPLEMENTARY INFORMATION section.

FOR FURTHER INFORMATION CONTACT: CDR Scott Cooper, USPHS, (410) 786-
9465, Mary Collins, (410) 786-3189, Alpha-Banu Huq, (410) 786-8687, 
Lisa Parker, (410) 786-4665.

SUPPLEMENTARY INFORMATION: 
    Inspection of Public Comments: All comments received before the 
close of the comment period are available for viewing by the public, 
including any personally identifiable or confidential business 
information that is included in a comment. We post all comments 
received before the close of the comment period on the following Web 
site as soon as possible after they have been received: http://www.regulations.gov. Follow the search instructions on that Web site to 
view public comments.
    Comments received timely will also be available for public 
inspection as they are received, generally beginning approximately 3 
weeks after publication of a document, at the headquarters of the 
Centers for Medicare & Medicaid Services, 7500 Security Boulevard, 
Baltimore, Maryland 21244, Monday through Friday of each week from 8:30 
a.m. to 4 p.m. To schedule an appointment to view public comments, 
phone 1-800-743-3951.

Acronyms

    Because of the many terms to which we refer by acronym in this 
proposed rule, we are listing the acronyms used and their corresponding 
meanings in alphabetical order below:

AAPA American Academy of Physician Assistants
ACA Affordable Care Act
AOA American Osteopathic Association
APIC Association for Professionals in Infection Control and 
Epidemiology, Inc.
APRN Advanced Practice Registered Nurse
AS Antibiotic Stewardship
BBA Balanced Budget Act
CAHs Critical Access Hospitals
CARB Combating Antibiotic-Resistant Bacteria
CARE Continuity Assessment Record & Evaluation
CBIC Certification Board of Infection Control and Epidemiology Inc.
CDI Clostridium Difficile Infections
CHA Children's Health Act
CIHQ Center for Improvement in Healthcare Quality
CLABSIs Central Line-Associated Bloodstream Infections
CPOE Computerized Provider Order Entry
CoPs Conditions of Participation
DNV-GL DNV-GL Healthcare
DO Doctor of Osteopathy
DRA Deficit Reduction Act
EM Emergency Medicine
EHRs Electronic Health Records
EWRs Executive WalkRounds
FDA Food and Drug Administration
HACs Hospital-Acquired Conditions
HAIs Healthcare-Associated Infections
HFAP Healthcare Facilities Accreditation Program
HICPAC Healthcare Infection Control Practices Advisory Committee
ICP Infection Control Professional
IDSA Infectious Diseases Society of America
IGs Interpretive Guidelines
IOM Institute of Medicine
IPPS Inpatient Prospective Payment System
IT Information Technology
LGBT Lesbian, Gay, Bisexual, and Transgender
LIP Licensed Independent Practitioner
MBQIP Medicare Beneficiary Quality Improvement Project
MD Doctor of Medicine
MDROs Multi-Drug Resistant Organisms
MedPAC Medicare Payment Advisory Commission
MRHFP Medicare Rural Hospital Flexibility Program
NHSN National Healthcare Safety Network
NQF National Quality Forum
OBRA Omnibus Budget Reconciliation Act
OCR Office for Civil Rights
OIG Office of Inspector General
PA Physician Assistant
PCP Primary Care Provider
PN Parenteral Nutrition
QAPI Quality Assessment and Performance Improvement
QIO Quality Improvement Organization
RDs Registered Dietitians
RPCHs Rural Primary Care Hospitals

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SHEA Society for Healthcare Epidemiology of America
TJC The Joint Commission
VBP Value-Based Purchasing

Table of Contents

    This proposed rule is organized as follows:

I. Background
    A. Executive Summary
    B. Statutory Basis and Purpose of the Conditions of 
Participation for Hospitals and Critical Access Hospitals
    C. Why revise the conditions of participation?
II. Provisions of the Proposed Regulation
    A. Patient's Rights
    1. Non-Discrimination
    2. Licensed Independent Practitioner
    3. Patient's Access to Medical Records
    B. Quality Assessment and Performance Improvement
    C. Nursing Services
    D. Medical Record Services
    E. Infection Prevention and Control and Antibiotic Stewardship 
Programs
    F. Technical Corrections
    G. Critical Access Hospitals
    1. Organizational Structure
    2. Periodic Review of Clinical Privileges and Performance
    3. Provision of Services
    4. Infection Prevention and Control and Antibiotic Stewardship 
Programs
    5. Quality Assessment and Performance Improvement Program
    6. Technical Corrections
III. Collection of Information Requirements
IV. Response to Comments
V. Regulatory Impacts
VI. Regulations Text

I. Background

A. Executive Summary

    These proposed changes would modernize hospital and critical access 
hospital (CAH) requirements, improve quality of care, and support HHS 
and CMS priorities. We believe that benefits of the proposed revisions 
would include; reduced incidence of hospital-acquired conditions 
(HACs), including reduced incidence of healthcare-associated infections 
(HAIs); reduced inappropriate antibiotic use; and strengthened patient 
protections overall. Specifically, we propose to revise the conditions 
of participation (CoPs) for hospitals and CAHs to address:
     Discriminatory behavior by healthcare providers that may 
create real or perceived barriers to care;
     Use of the term ``Licensed Independent Practitioners'' 
(LIPs) that may inadvertently exacerbate workforce shortage concerns;
     Requirements that do not fully conform to current 
standards for infection control;
     Requirements for antibiotic stewardship programs to help 
reduce inappropriate antibiotic use and antimicrobial resistance; and
     The use of quality reporting program data by hospital 
Quality Assessment and Performance Improvement (QAPI) programs.

B. Statutory Basis and Purpose of the Conditions of Participation for 
Hospitals and Critical Access Hospitals

    Sections 1861(e)(1) through (8) of the Social Security Act (the 
Act) provide that a hospital participating in the Medicare program must 
meet certain specified requirements. Section 1861(e)(9) of the Act 
specifies that a hospital also must meet such other requirements as the 
Secretary finds necessary in the interest of the health and safety of 
individuals furnished services in the institution. Under this 
authority, the Secretary has established regulatory requirements that a 
hospital must meet to participate in Medicare at 42 CFR part 482, CoPs 
for Hospitals. Section 1905(a) of the Act provides that Medicaid 
payments from States may be applied to hospital services. Under 
regulations at 42 CFR 440.10(a)(3)(iii) and 42 CFR 440.20(a)(3)(ii), 
hospitals are required to meet the Medicare CoPs in order to 
participate in Medicaid.
    On May 26, 1993, CMS published a final rule in the Federal Register 
entitled ``Medicare Program; Essential Access Community Hospitals 
(EACHs) and Rural Primary Care Hospitals (RPCHs)'' (58 FR 30630) that 
implemented sections 6003(g) and 6116 of the Omnibus Budget 
Reconciliation Act (OBRA) of 1989 and section 4008(d) of OBRA 1990. 
That rule established requirements for the EACH and RPCH providers that 
participated in the seven-state demonstration program that was designed 
to improve access to hospital and other health services for rural 
residents.
    Sections 1820 and 1861(mm) of the Act, as amended by section 4201 
of the Balanced Budget Act (BBA) of 1997, replaced the EACH/RPCH 
program with the Medicare Rural Hospital Flexibility Program (MRHFP), 
under which a qualifying facility can be designated and certified as a 
CAH. CAHs participating in the MRHFP must meet the conditions for 
designation specified in the statute under section 1820(c)(2)(B) of the 
Act, and to be certified must also meet other criteria the Secretary 
may require, under section 1820(e)(3) of the Act. Under this authority, 
the Secretary has established regulatory requirements that a CAH must 
meet to participate in Medicare at 42 CFR part 485, subpart F.
    The CoPs for hospitals and CAHs are organized according to the 
types of services a hospital or CAH may offer, and include specific, 
process oriented requirements for each hospital or CAH service or 
department. The purposes of these conditions are to protect patient 
health and safety and to ensure that quality care is furnished to all 
patients in Medicare-participating hospitals and CAHs. In accordance 
with Section 1864 of the Act, State surveyors assess hospital and CAH 
compliance with the conditions as part of the process of determining 
whether a hospital qualifies for a provider agreement under Medicare. 
However, under section 1865 of the Act, hospitals and CAHs can elect to 
be reviewed instead by private accrediting organizations approved by 
CMS as having standards that meet or exceed the applicable Medicare 
standards and survey procedures comparable to those CMS requires for 
State survey agencies. CMS-approved hospital and CAH accrediting 
programs include those of The Joint Commission (TJC), the American 
Osteopathic Association/Healthcare Facilities Accreditation Program 
(AOA/HFAP), and DNV-GL Healthcare (DNV-GL) (See 42 CFR part 488, Survey 
and Certification Procedures). The Center for Improvement in Healthcare 
Quality (CIHQ) also has a CMS-approved hospital accrediting program.

C. Why revise the conditions of participation?

    CMS is aware, through conversations with stakeholders and federal 
partners, and as a result of internal evaluation and research, of 
continuing concerns about the conditions of participation for hospitals 
and CAHs despite recent revisions to the CoPs. We believe that the 
proposed revisions would address many of those concerns. In addition, 
modernization of the requirements would cumulatively result in improved 
quality of care and improved outcomes for all hospital and CAH 
patients. We believe that benefits would include reduced readmissions, 
reduced incidence of hospital-acquired conditions (including 
healthcare-associated infections), improved use of antibiotics at 
reduced costs (including the potential for reduced antibiotic 
resistance), and improved patient and workforce protections.
    These benefits are consistent with current HHS Quality Initiatives, 
including efforts to prevent HAIs; the national action plan for adverse 
drug event (ADE) prevention; the national strategy for Combating 
Antibiotic-Resistant Bacteria (CARB); and the Department's National 
Quality Strategy (http://www.ahrq.gov/workingforquality/index.html). 
The National Action Plan for Combating

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Antibiotic-Resistant Bacteria, which was developed by the interagency 
Task Force for Combating Antibiotic-Resistant Bacteria in response to 
Executive Order 13676: ``Combating Antibiotic-Resistant Bacteria,'' (79 
FR 56931, Sept. 23, 2014), outlines steps for implementing the National 
Strategy on Combating Antibiotic-Resistant Bacteria and addressing the 
policy recommendations of the President's Council of Advisors on 
Science and Technology report on Combating Antibiotic Resistance. The 
Action Plan includes activities to foster improvements in the 
appropriate use of antibiotics (that is, antibiotic stewardship) by 
improving prescribing practices across all healthcare settings, 
particularly establishment of antimicrobial stewardship programs in all 
acute care hospitals by 2020 (https://www.whitehouse.gov/the-press-office/2015/03/27/fact-sheet-obama-administration-releases-national-action-plan-combat-ant). Our proposal to require hospitals to establish 
and maintain antibiotic stewardship programs would directly support 
this goal. In addition, principles of the National Quality Strategy 
supported by this proposed rule include eliminating disparities in 
care, improving quality, promoting consistent national standards while 
maintaining support for local, community, and State-level activities 
that are responsive to local circumstances; care coordination, and 
providing patients, providers, and payers with the clear information 
they need to make choices that are right for them (http://www.ahrq.gov/workingforquality/nqs/principles.htm). Our proposal to prohibit 
discrimination would support eliminating disparities in care, and we 
believe our proposals about QAPI and infection prevention and control 
and antibiotic stewardship programs would improve quality and promote 
consistent national standards. Our proposals regarding nursing services 
and the term ``licensed independent practitioners'' would support care 
coordination and quality of care. In sum, we believe our proposed 
changes are necessary, timely, and beneficial.

II. Provisions of the Proposed Rule

A. Patient's Rights (Sec.  482.13)

1. Non-Discrimination
    One of the basic requirements for providers who participate in the 
Medicare program is that, they must agree to meet the applicable civil 
rights requirements of Title VI of the Civil Rights Act of 1964, as 
implemented by 45 CFR part 80; section 504 of the Rehabilitation Act of 
1973, as implemented by 45 CFR part 84; the Age Discrimination Act of 
1975, as implemented by 45 CFR part 90; Section 1557 of the Patient 
Protection and Affordable Care Act of 2010 (Pub. L. 111-148) (Section 
1557); and other pertinent requirements enforced by the HHS Office for 
Civil Rights (OCR) (see 42 CFR 489.10(b)). Title VI prohibits 
discrimination based on race, color, and national origin. Section 504 
prohibits discrimination based on disability. The Age Act prohibits 
discrimination based on age. Section 1557 of the Affordable Care Act 
prohibits discrimination on all of these bases and is the first federal 
civil rights law to prohibit discrimination based on sex, including 
gender identity, in covered health programs and activities. In 
addition, the Hospital and CAH Conditions of Participation (CoPs) 
require that hospitals and CAHs be in compliance with applicable 
Federal laws related to the health and safety of patients. However, 
there is currently no explicit prohibition of discrimination contained 
within the Hospital and CAH CoPs. We have been made aware that the 
historic lack of an explicit prohibition within the CoPs, and, in 
particular, the lack of civil rights protections regarding hospital 
patients' gender identities, is regarded as having been a barrier to 
seeking care by individuals who fear such discrimination. 
Discriminatory behavior, or even the fear of discriminatory behavior, 
by healthcare providers remains an issue and can create barriers to 
care and result in adverse outcomes for patients. Numerous studies 
address the impact of discrimination or perceived discrimination on 
individuals seeking healthcare. Discrimination can be based on sexual 
orientation, racial or ethnic background, or other factors. The 
Institute of Medicine (IOM) noted in its 2011 report The Health of 
Lesbian, Gay, Bisexual, and Transgender People: Building a Foundation 
for Better Understanding that many lesbian, gay, bisexual, and 
transgender (LGBT) people refrain from disclosing their sexual 
orientation or gender identity to researchers and health care 
providers. The report goes on to note that:
    Some LGBT individuals face discrimination in the health care system 
that can lead to an outright denial of care or to the delivery of 
inadequate care. There are many examples of manifestations of enacted 
stigma against LGBT individuals by health care providers. LGBT 
individuals have reported experiencing refusal of treatment by health 
care staff, verbal abuse, and disrespectful behavior, as well as many 
other forms of failure to provide adequate care (Eliason and Schope, 
2001; Kenagy, 2005; Scherzer, 2000; Sears, 2009 as cited in Institute 
of Medicine. The Health of Lesbian, Gay, Bisexual, and Transgender 
People: Building a Foundation for Better Understanding. Washington, DC: 
The National Academies Press, 2011.)
    Perceived discriminatory behavior among African-American and white 
patients treated for osteoarthritis by orthopedic surgeons in two 
Veterans Affairs facilities negatively affected patient-provider 
communications (Leslie R.M. Hausmann, Ph.D., Michael J. Hannon, MA, 
Denise M. Kresevic, RN, Ph.D., Barbara H. Hanusa, Ph.D., C. Kent Kwoh, 
MD, and Said A. Ibrahim, MD, MPH. Med Care. 2011 July; 49(7): 626-633). 
Tracy MacIntosh et al report that racial/ethnic minorities who reported 
being socially-assigned as white are more likely to receive preventive 
vaccinations and less likely to report healthcare discrimination 
compared with those who are socially-assigned as minority. (MacIntosh 
T, Desai MM, Lewis TT, Jones BA, Nunez-Smith M (2013) Socially-Assigned 
Race, Healthcare Discrimination and Preventive Healthcare Services. 
PLoS ONE 8(5): e64522. doi:10.1371/journal.pone.0064522). In a 2012 
study, the authors found that African-American and Asian immigrant 
participants reported experiencing different forms of medical 
discrimination related to class, race, and language. (Thu Quach, Ph.D., 
MPH, Amani Nuru-Jeter, Ph.D., MPH, Pagan Morris, MPH, Laura Allen, BA, 
Sarah J. Shema, MS, June K. Winters, BA, Gem M. Le, Ph.D., MHS, and 
Scarlett Lin Gomez, Ph.D. Am J Public Health. 2012;102:1027-1034. 
doi:10.2105/AJPH.201.1300554).
    Because discriminatory behavior can affect perceived and actual 
access to and effectiveness of healthcare delivery, we propose to 
establish explicit requirements that a hospital not discriminate on the 
basis of race, color, national origin, sex (including gender identity), 
age, or disability and that the hospital establish and implement a 
written policy prohibiting discrimination on the basis of race, color, 
national origin, sex (including gender identity), age, or disability. 
We are proposing these requirements to ensure nondiscrimination as 
required by Section 1557 of the Affordable Care Act, which prohibits 
health programs and activities that receive federal financial 
assistance, such as Medicare and Medicaid, from excluding or denying 
beneficiaries participation based on

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their race, color, national origin, sex (including gender identity), 
age, or disability. In addition, we believe that discrimination by a 
hospital based on a patient's religion or sexual orientation can 
potentially lead to a denial of services or inadequate care in the 
hospital, which is detrimental to the patient's health and safety. We 
are therefore also proposing to establish explicit requirements that a 
hospital not discriminate on the basis of religion or sexual 
orientation and that a hospital establish and implement a written 
policy prohibiting discrimination on the basis of religion or sexual 
orientation. We are doing so under the statutory authority of Section 
1861(e)(9) of the Act, which specifies that a hospital ``must also meet 
other requirements as the Secretary finds necessary in the interest of 
the health and safety of individuals who are furnished services in the 
facility.'' As noted, substantial academic research demonstrates that 
discrimination on the basis of sexual orientation is inconsistent with 
the health and safety of patients, as this may lead to a denial of 
services not justified by a medically appropriate rationale.
    We propose to further require that each patient, and/or 
representative, and/or support person, where appropriate, is informed, 
in a language he or she can understand, of the right to be free from 
discrimination against them on any of these bases when he or she is 
informed of his or her other rights under Sec.  482.13. In addition, we 
propose to require that the hospital inform the patient and/or 
representative, and/or support person, on how he or she can seek 
assistance if they encounter discrimination. A patient's ``support 
person'' does not necessarily have to be the patient's representative 
who is legally responsible for making medical decisions on the 
patient's behalf. A support person could be a family member, friend, or 
other individual who is there to support the patient during the course 
of the stay. We discuss the meaning of ``support person'' in the 
preamble to the final rule, ``Medicare and Medicaid Programs: Changes 
to the Hospital and Critical Access Hospital Conditions of 
Participation To Ensure Visitation Rights for All Patients'' (75 FR 
70833, November 19, 2010).
2. Licensed Independent Practitioners
    On May 16, 2012, we published a final rule entitled ``Medicare and 
Medicaid Programs: Reform of Hospital and Critical Access Hospital 
Conditions of Participation'' (77 FR 29034). Within the section of this 
rule discussing the changes to Sec.  482.13, one commenter requested 
that CMS make a clarifying statement regarding the requirements at 
Sec.  482.13(e)(5) that would identify which practitioners could order 
restraint or seclusion in a hospital (77 FR 29043). The commenter noted 
that the current requirements use the term ``LIP'' and that this has 
been interpreted by many hospitals to mean that a physician assistant 
(PA) could not order restraint and/or seclusion. The commenter 
expressed opposition to this interpretation and suggested instead that 
CMS clarify that, where permitted by State law, a physician would be 
permitted to delegate the ordering of such measures to a physician 
assistant. The commenter also requested that CMS provide a clarifying 
statement that PAs would be authorized to order restraint and 
seclusion.
    Our response to this comment in the final rule referred to Appendix 
A of the State Operations Manual, CMS Pub. 100-07, regarding Sec.  
482.13(e)(5), which provides, ``For the purpose of ordering restraint 
or seclusion, an LIP is any practitioner permitted by State law and 
hospital policy as having the authority to independently order 
restraints or seclusion for patients.'' We also stated in our response 
in the final rule that, ``if an individual physician assistant (PA) was 
authorized by State law and hospital policy to independently order 
restraints or seclusion for patients, then that PA could do so within 
the hospital. However, since PAs have traditionally defined themselves 
as `physician-dependent' practitioners (as opposed to APRNs, who see 
themselves as independent practitioners), it is unlikely that a PA 
would be authorized by State law and hospital policy to `independently' 
order restraints or seclusions for patients (as would be likely for 
licensed independent practitioners such as physicians, APRNs, and 
clinical psychologists). The supervising physician-PA team concept (and 
PA practice dependence on the supervising physician) is supported by 
the American Academy of Physician Assistants' description of the PA 
profession:
    `Physician assistants are health professionals licensed or, in the 
case of those employed by the federal government, credentialed to 
practice medicine with physician supervision' (American Academy of 
Physician Assistants. (2009-2010). Policy Manual. Alexandria, VA.).
    Moreover, a PA would not be allowed to order restraints or 
seclusion if the only authority to do so was delegated by a physician 
since this physician-delegated authority would establish that the PA 
was not independently authorized by State law and hospital policy, 
which we stated is a prerequisite for this type of order.''
    After publication of the final rule in May of 2012, we became aware 
of the concerns of the American Academy of Physician Assistants (AAPA) 
regarding this issue, both through communications from the AAPA and 
through the AAPA's submissions in response to the Secretary's Request 
for Regulatory Issues Unfairly Impacting Rural Providers. The AAPA 
maintains that ```Licensed Independent Practitioner' is not a term used 
in the Social Security Act, nor in any other federal law,'' and that 
``the LIP terminology is, at best, confusing regarding physician 
assistants' ability to order [restraint and seclusion]; at worst, it 
restricts the ability of hospitals to utilize PAs to the extent of 
their educational preparation and scope of practice, as determined by 
state law.'' The AAPA further contends that ```independent' practice is 
not a measure of a healthcare professional's educational preparation, 
competency, or ability to provide quality medical care,'' and that 
``the LIP terminology is inconsistent with the movement toward team-
based health care delivery, as well as the need to fully utilize the 
healthcare workforce.''
    In drafting this proposed rule, we took these arguments into 
careful consideration. We also reviewed the Children's Health Act (CHA) 
of 2000 (Pub. L. 106-310), which necessitated the changes to the 
Patients' Rights CoP Sec.  482.13, as well as the 2006 final rule that 
implemented these changes, and determined that the term ``licensed 
independent practitioner'' was carried over into the CoPs from an 
earlier version of the bill that eventually became law as the CHA. The 
CHA only uses the term ``other licensed practitioner,'' dropping the 
``independent'' modifier. Taking this into consideration, we are 
proposing to delete the modifying term ``independent'' from the CoP at 
Sec.  482.13(e)(5), as well as at Sec.  482.13(e)(8)(ii), and also 
propose to revise the provision to be in keeping with the language of 
the CHA regarding restraint and seclusion orders and licensed 
practitioners. Therefore, we are proposing that Sec.  482.13(e)(5) 
would now read that the use of restraint or seclusion must be in 
accordance with the order of a physician or other licensed practitioner 
who is responsible for the care of the patient and authorized to order 
restraint or seclusion by hospital policy in accordance with State law. 
We are also proposing that Sec.  482.13(e)(8)(ii) would state that, 
after 24 hours, before writing

[[Page 39452]]

a new order for the use of restraint or seclusion for the management of 
violent or self-destructive behavior, a physician or other licensed 
practitioner who is responsible for the care of the patient and 
authorized to order restraint or seclusion by hospital policy in 
accordance with State law would have to see and assess the patient.
    Other provisions in the current requirements regarding restraint 
and seclusion use the term ``licensed independent practitioner'', and 
we are proposing to revise these provisions as well. Section 
482.13(e)(10), (e)(11), (e)(12)(i)(A), (e)(14), and (g)(4)(ii) all 
contain the term ``licensed independent practitioner.'' Therefore, we 
are proposing to change the term from ``licensed independent 
practitioner'' to simply ``licensed practitioner.'' We are also 
proposing to remove the term ``physician assistant'' from the current 
provisions at Sec.  482.13(e)(12)(i)(B) and (e)(14) because we believe 
its use in these instances distinguishes the role of PAs from other 
licensed practitioners (such as APRNs) in ways that are confusing and 
that restrict the ability of hospitals to utilize PAs to the extent of 
their educational preparation and scope of practice. The current 
requirements severely limit a PA's scope of practice in ways that 
currently do not apply to an APRN practicing under the same 
circumstances. The AAPA has noted that by limiting a PA's scope of 
practice, the CoPs create a burden for hospitals, particularly small 
hospitals, and are contrary to state laws that allow PAs to practice to 
the full extent of their training and credentialing. PAs are trained on 
a medical model that is similar in content, if not duration, to that of 
physicians. Further, PA training and education is comparable in many 
ways to that of APRNs and in some ways, more extensive. Therefore, we 
believe that PAs, like APRNs and physicians, should not have to undergo 
additional training so that they can order restraint and seclusion. 
Therefore, we are proposing to remove PAs from the two provisions noted 
above.
3. Patient Access to Medical Records
    On December 8, 2006, CMS published final regulations which 
established requirements for patient's rights in hospitals, and which 
included requirements for the confidentiality of patient records at 
Sec.  482.13(d) (71 FR 71426). Specifically, Sec.  482.13(d)(2) states 
that a patient has the right to access information contained in his or 
her clinical records within a reasonable time frame and that the 
hospital must not frustrate the legitimate efforts of individuals to 
gain access to their own medical records and must actively seek to meet 
these requests as quickly as its record keeping system permits. 
However, the requirements as they are currently written do not take 
into account that medical records may be maintained electronically, nor 
do the requirements acknowledge that a patient has the right to access 
these medical records in an electronic format. Ideally, the patient 
should be able to access their medical records in a form or format 
requested by the patient, whether electronically or in a hard copy 
format. Therefore, we are proposing to clarify the requirement at Sec.  
482.13(d)(2) to state that the patient has the right to access their 
medical records, including current medical records, upon an oral or 
written request, in the form and format requested by the individual, if 
it is readily producible in such form and format (including in an 
electronic form or format when such medical records are maintained 
electronically); or, if not, in a readable hard copy form or such other 
form and format as agreed to by the facility and the individual, within 
a reasonable time frame. OCR recently issued an FAQ document about 
medical records access clarifying that the requirement to send medical 
records to the individual is within 30 days (or 60 days if an extension 
is applicable) after receiving the request, ``however, in most cases, 
it is expected that the use of technology will enable the covered 
entity to fulfill the individual's request in far fewer than 30 days.'' 
(http://www.hhs.gov/hipaa/for-professionals/privacy/guidance/access/#newlyreleasedfaqs). Individuals who have not been provided with their 
medical records within the 30-day timeframe required by HIPAA or who 
experience other difficulties accessing their medical records can file 
a complaint with OCR at: http://www.hhs.gov/hipaa/filing-a-complaint/index.html.

B. Quality Assessment and Performance Improvement (QAPI) Program (Sec.  
482.21)

    On January 24, 2003, CMS published a final rule in the Federal 
Register entitled ``Medicare and Medicaid Programs; Hospital Conditions 
of Participation: Quality assessment and performance improvement 
(QAPI)'' (68 FR 3435). The QAPI rule set a minimum requirement that 
each hospital participating in the Medicare program systematically 
examine the quality of its services and implement specific improvement 
projects on an ongoing basis. As a result of the QAPI rule, as well as 
other efforts and advancements in the delivery of healthcare, hospitals 
have made progress toward delivering safer, high-quality care.
    The 2003 QAPI CoP final rule provided a framework to implement 
Department of Health and Human Services initiatives designed to help 
distinguish and avoid mistakes in the healthcare delivery system. The 
existing QAPI CoP requires each hospital to:
     Develop, implement, maintain, and evaluate its own QAPI 
program;
     Establish a QAPI program that reflects the complexity of 
its organization and services;
     Establish a QAPI program that involves all hospital 
departments and services and focuses on improving health outcomes and 
preventing and reducing medical errors; and
     Maintain and demonstrate evidence of its QAPI program for 
review by CMS.
    We are proposing a minor change to the program data requirements at 
Sec.  482.21(b). Currently, we require that hospitals incorporate 
quality indicator data including patient care data and other relevant 
data (for example, information submitted to, or received from, the 
hospital's Quality Improvement Organization) into their QAPI programs. 
We propose to update this requirement to reflect and capitalize on the 
wealth of important quality data available to hospitals through several 
quality data reporting programs. Specifically, we propose to require 
that the hospital QAPI program incorporate quality indicator data 
including patient care data submitted to or received from quality 
reporting and quality performance programs, including but not limited 
to data related to hospital readmissions and hospital-acquired 
conditions. Most hospitals collect and analyze data for several quality 
reporting and quality performance programs, such as the Hospital 
Inpatient Quality Reporting program, the Hospital Value-Based 
Purchasing Program, the Hospital-Acquired Condition Reduction Program, 
the Medicare and Medicaid Electronic Health Record Incentive Programs, 
and the Hospital Outpatient Quality Reporting program. Since a hospital 
is already collecting and reporting quality measures data for these 
programs, we believe that it is efficient and cost-effective for a 
hospital to include at least some of these data in its QAPI program. 
The data are used to calculate measures, which are generally endorsed 
by the National Quality Forum (NQF). We believe the resulting data are 
a valuable resource to hospitals that should be used in hospital QAPI 
programs.
    While we are not proposing to require that hospitals develop and 
implement information technology (IT) systems as

[[Page 39453]]

part of their QAPI program, we encourage hospitals to use IT systems, 
including systems to exchange health information with other providers, 
that are designed to improve patient safety and quality of care. In 
addition, we believe that those facilities that are electronically 
capturing information should be doing so using certified health IT that 
will enable real time electronic exchange with other providers. By 
using certified health IT, facilities can ensure that they are 
transmitting interoperable data that can be used by other settings, 
supporting a more robust care coordination and higher quality of care 
for patients.

C. Nursing Services (Sec.  482.23)

    As a result of our internal review of the CoPs for nursing 
services, we recognized that some of our requirements might be 
ambiguous and confusing due to unnecessary distinctions between 
inpatient and outpatient services, or might fail to account for the 
variety of ways through which a hospital might meet its nurse staffing 
requirements. We propose to make revisions to the nursing services CoP 
to improve clarity. Specifically, we propose to revise Sec.  482.23(b), 
which currently states that there must be supervisory and staff 
personnel for each department or nursing unit to ensure, when needed, 
the immediate availability of a registered nurse for bedside care of 
any patient. We propose to delete the term ``bedside,'' which might 
imply only inpatient services to some readers. The nursing service must 
ensure that patient needs are met by ongoing assessments of patients' 
needs and must provide nursing staff to meet those needs regardless of 
whether the patient is an inpatient or an outpatient. There must be 
sufficient numbers, and types of supervisory and staff nursing 
personnel to respond to the appropriate nursing needs and care of the 
patient population of each department or nursing unit. When needed, a 
registered nurse must be available to care for any patient. We 
understand that the term ``immediate availability'' has been 
interpreted to mean physically present on the unit or in the 
department. We further understand that there are some outpatient 
services where it might not be necessary to have a registered nurse 
physically present. For example, while it is clearly necessary to have 
an RN present in an outpatient ambulatory surgery recovery unit, it 
might not be necessary to have an RN on-site at an off-campus MRI 
facility at Sec.  482.23(b)(7). We propose to allow a hospital to 
establish a policy that would specify which, if any, outpatient 
departments would not be required to have an RN physically present as 
well as the alternative staffing plans that would be established under 
such a policy. We would require such a policy to take into account 
factors such as the services delivered, the acuity of patients 
typically served by the facility, and the established standards of 
practice for such services. In addition, we would propose that the 
policy must be approved by the medical staff and be reviewed at least 
once every three years. We welcome comments on the need for, the risks 
of establishing, and the appropriate criteria we should require for 
such an exception.
    We also propose to clarify in paragraph (b)(4) (which currently 
requires that the hospital must ensure that the nursing staff develops, 
and keeps current, a nursing care plan for each patient and that the 
plan may be part of an interdisciplinary care plan) that while a 
nursing care plan is needed for every patient, the care plan should 
reflect the needs of the patient and the nursing care to be provided to 
meet those needs. The care plan for a patient with complex medical 
needs and a longer anticipated hospitalization may be more extensive 
and detailed than the care plan for a patient with a less complex 
medical need expecting only a brief hospital stay. We expect that a 
nursing care plan would be initiated and implemented in a timely 
manner, include patient goals as part of the patient's nursing care 
assessment and, as appropriate, physiological and psychosocial factors 
(such as specific physical limitations and available support systems), 
physical and behavioral health comorbidities, and patient discharge 
planning. In addition, it should be consistent with the plan for the 
patient's medical care and demonstrate evidence of reassessment of the 
patient's nursing care needs, response(s) to nursing interventions, 
and, as needed, revisions to the plan.
    Finally, we propose to revise paragraph (b)(6) (which currently 
states that non-employee licensed nurses working in the hospital must 
adhere to the policies and procedures of the hospital and that the 
director of nursing service must provide for the adequate supervision 
and evaluation of the clinical activities of non-employee nursing 
personnel) to clarify that all licensed nurses who provide services in 
the hospital must adhere to the policies and procedures of the 
hospital. In addition, the director of nursing service must provide for 
the adequate supervision and evaluation of the clinical activities of 
all nursing personnel (that is, all licensed nurses and any non-
licensed personnel such as nurse aides, orderlies, or other nursing 
support personnel who are under the direction of the nursing service) 
which occur within the responsibility of the nursing service, 
regardless of the mechanism through which those personnel are obtained. 
We recognize that there are a variety of arrangements under which 
hospitals obtain the services of licensed nurses. Mechanisms may 
include direct employment, the use of contract or agency nurses, a 
leasing agreement, volunteer services or some other arrangement. No 
matter how the services of a licensed nurse are obtained, in order to 
ensure the health and safety of patients, all nurses must know and 
adhere to the policies and procedures of the hospital and there must be 
adequate supervision and evaluation of the clinical activities of all 
nursing personnel who provide services that occur within the 
responsibility of the nursing service. We would expect non-licensed 
personnel to be supervised by a licensed nurse.
    In addition, we propose to delete inappropriate references to Sec.  
482.12(c) that are currently in paragraphs (c)(1) and (3). We discuss 
these technical corrections in detail below.

D. Medical Record Services (Sec.  482.24)

    The Medicare hospital CoPs apply to services being provided to all 
patients, regardless of insurer, and to both inpatients and outpatients 
of a hospital. However, some of the regulatory language in the Medical 
Record Services CoP (Sec.  482.24) appears to apply to only inpatients, 
particularly with the use of terms such as ``admission,'' 
``hospitalization,'' and ``discharge.'' We are proposing to make 
changes to several of the provisions in this CoP so that the 
requirements are clearer regarding the distinctions between a patient's 
inpatient and outpatient status and the subtle differences between 
certain aspects of medical record documentation related to each status.
    The current requirements at Sec.  482.24(c) state that the content 
of the medical record must contain information to justify admission and 
continued hospitalization, support the diagnosis, and describe the 
patient's progress and response to medications and services. While we 
believe that these terms are appropriate for inpatients, they do not 
fully capture the specific documentation necessary for outpatients. For 
example, appropriate documentation for an outpatient would be a current 
progress note, often in the accepted standard of a SOAP (Subjective, 
Objective, Assessment, Plan) note. Therefore, we propose to

[[Page 39454]]

revise the current regulatory language to require that the content of 
the medical record must contain information to justify all admissions 
and continued hospitalizations, support the diagnoses, describe the 
patient's progress and responses to medications and services, and 
document all inpatient stays and outpatient visits to reflect all 
services provided to the patient.
    Similarly, we propose to revise Sec.  482.24(c)(4)(ii) from the 
current requirement for documentation of ``admitting diagnosis'' to 
include ``all diagnoses specific to each inpatient stay and outpatient 
visit,'' which would include specifying any admitting diagnoses. Within 
this same standard, we are proposing to update several terms to reflect 
more current terminology and standards of practice. Therefore, at Sec.  
482.24(c)(4)(iv), we propose to require that the content of the record 
include documentation of complications, hospital-acquired conditions, 
healthcare-associated infections, and adverse reactions to drugs and 
anesthesia. We also propose changes to Sec.  482.24(c)(4)(vi) to add 
``progress notes . . . interventions, responses to interventions . . . 
'' to the required documentation of ``practitioners' orders'' to 
emphasize the necessary documentation for both inpatients and 
outpatients. And we propose to add the phrase ``to reflect all services 
provided to the patient,'' so that the entire provision would now read 
that the content of the record must contain all practitioners' progress 
notes and orders, nursing notes, reports of treatment, interventions, 
responses to interventions, medication records, radiology and 
laboratory reports, and vital signs and other information necessary to 
monitor the patient's condition and to reflect all services provided to 
the patient.
    Continuing under this standard detailing the contents of the 
medical record, we propose to make revisions to the final two 
provisions under this standard. We propose to change Sec.  
482.24(c)(4)(vii) to require that all patient medical records must 
document discharge and transfer summaries with outcomes of all 
hospitalizations, disposition of cases, and provisions for follow-up 
care for all inpatient and outpatient visits to reflect the scope of 
all services received by the patient. We believe that these changes 
would clarify the importance of discharge summaries for patients being 
discharged home as well as the importance of transfer summaries for 
patients being transferred to post-acute care facilities such as 
nursing homes or inpatient rehabilitation facilities. In addition, we 
recognize the distinction between the services received by inpatients 
and those received by outpatients by proposing to include language that 
distinguishes between the inpatient and the outpatient experiences.
    Finally, we emphasize the distinctions between discharges and 
transfers as well as between inpatients and outpatients by proposing to 
revise Sec.  482.24(c)(4)(viii) so that the content of the medical 
record would contain final diagnoses with completion of medical records 
within 30 days following all inpatient stays, and within 7 days 
following all outpatient visits.

E. Infection Prevention and Control and Antibiotic Stewardship Programs 
(Sec.  482.42)

Background
    CMS introduced Infection Control as a hospital CoP in 1986 amidst 
growing recognition that infections and communicable diseases were 
potentially exposing hospital patients to significant pain and risk, 
and driving up direct hospital charges (51 FR 22010, 22027). The 
regulation increased hospital accountability and sought to ensure that 
hospitals identify, prevent, control, investigate, and report 
infections and communicable diseases of patients and hospital 
personnel. The regulation also established a requirement for hospitals 
to keep a log to identify problems and for improvement to be made when 
problems were identified.
    The Infection Control CoP has essentially remained unchanged in its 
regulatory form, notwithstanding a final rule published in May 2012, 
``Reform of Hospital and Critical Access Hospital Conditions of 
Participation'' (77 FR 29034), which removed the obsolete and redundant 
requirement for hospitals to maintain infection control logs, since 
hospitals are already required to monitor infections and currently do 
so through various surveillance methods, including electronic systems. 
The final rule also made a technical change to the CoP and replaced the 
outdated term, ``quality assurance program,'' with the more current 
term, ``quality assessment and performance improvement program.''
    The Department of Health and Human Services is particularly 
concerned about HAIs, as they are a significant cause of morbidity and 
mortality in the United States. In 2011, there were an estimated 
722,000 cases of HAIs in US hospitals with 75,000 inpatients with HAIs 
that died during that same time period (Magill SS, Edwards JR, Bamberg 
W et al. Multistate Point Prevalence Survey of Health Care-Associated 
Infections. New England Journal of Medicine 2014; 370:1198-208.) 
Additionally, HHS is concerned about the growing threat to patient 
safety posed by organisms that are resistant to antibiotics, referred 
to as ``multi-drug resistant organisms (MDROs).'' Options for treating 
patients with MDRO infections are very limited, resulting in increased 
mortality, as well as increased hospital lengths of stay and costs. In 
response, HHS launched an Action Plan in April 2013 toward the 
prevention and elimination of HAIs. (HHS. ``HHS Action Plan to Prevent 
Healthcare-Associated Infections.'' Accessed 5 March 2014 http://www.hhs.gov/ash/initiatives/hai/actionplan/index.html.) The HHS Action 
Plan identifies policy changes, some addressed here in this proposed 
rule, in an effort to provide better, more efficient care.
    We are proposing revisions to Sec.  482.42 in an effort to further 
clarify existing requirements and update regulatory language to reflect 
state-of-the-art practices and terminology. We are also proposing 
revisions that would require a hospital to develop and maintain an 
antibiotic stewardship program as an effective means to improve 
hospital antibiotic-prescribing practices and curb patient risk for 
possibly deadly Clostridium difficile infections (CDIs), as well as 
other future, and potentially life-threatening, antibiotic-resistant 
infections. We would promote better alignment of a hospital's infection 
control and antibiotic stewardship efforts with nationally recognized 
guidelines and heighten the role and accountability of a hospital's 
governing body in program implementation and oversight. We believe that 
these changes, together, would promote a more patient-centered culture 
of safety focused on infection prevention and control as well as 
appropriate antibiotic use, while allowing hospitals the flexibility to 
align their programs with the guidelines best suited to them.
Summary of Changes to Sec.  482.42
    In its present form, the ``Infection Control'' CoP set forth at 
Sec.  482.42 requires hospitals to provide a sanitary environment to 
avoid sources and transmission of infections and communicable diseases. 
Hospitals are presently required to have a designated infection control 
officer, or officers, who are required to develop a system to identify, 
report, investigate and control infections and communicable diseases of 
patients and personnel. The hospital's CEO, medical staff, and director 
of nursing services are charged with ensuring that the problems

[[Page 39455]]

identified by the infection control officer or officers are addressed 
in hospital training programs and their QAPI program. The CEO, medical 
staff, and director of nursing services are also responsible for the 
implementation of successful corrective action plans in affected 
problem areas.
    At the outset, we propose a change to the title of this CoP to 
``Infection prevention and control and antibiotic stewardship 
programs.'' By adding the word ``prevention'' to the CoP name, our 
intent is to promote larger, cultural changes in hospitals such that 
prevention initiatives are recognized on balance with their current, 
traditional control efforts. And by adding ``antibiotic stewardship'' 
to the title, we would emphasize the important role that a hospital 
should play in combatting antimicrobial resistance through 
implementation of a robust stewardship program that follows nationally 
recognized guidelines for appropriate antibiotic use. Along with these 
changes, we propose to change the introductory paragraph to require 
that a hospital's infection prevention and control and antibiotic 
stewardship programs be active and hospital-wide for the surveillance, 
prevention, and control of HAIs and other infectious diseases, and for 
the optimization of antibiotic use through stewardship. We would also 
require that a program demonstrate adherence to nationally recognized 
infection prevention and control guidelines for reducing the 
transmission of infections, as well as best practices for improving 
antibiotic use, for reducing the development and transmission of HAIs 
and antibiotic-resistant organisms. While these particular changes are 
new to the regulatory text, it is worth noting that these requirements, 
with the exception of the new requirement for an antibiotic stewardship 
program, have been present in the Interpretive Guidelines for hospitals 
since 2008 (See A0747 at Appendix A--Survey Protocol, Regulations and 
Interpretive Guidelines for Hospitals, http://cms.gov/manuals/Downloads/som107ap_a_hospitals.pdf).
    We also propose to introduce the term ``surveillance'' into the 
text of the regulation. The addition of this term, which is also 
already in use in CMS Interpretive Guidelines for hospitals, is being 
proposed to bring the regulation up to date by reflecting current 
terminology in the field. As has been described in the Interpretive 
Guidelines for this regulation, ``surveillance'' includes infection 
detection, data collection, and analysis, monitoring, and evaluation of 
preventive interventions. (See SOM, Appendix A--Survey Protocol, 
Regulations and Interpretive Guidelines for Hospitals, pp.361-362, 
http://cms.gov/manuals/Downloads/som107ap_a_hospitals.pdf.) 
Surveillance practices include sampling or other mechanisms to permit 
identifying and monitoring infections occurring throughout the 
hospitals various locations or departments. In accordance with proposed 
Sec.  482.42(c)(2)(ii), the hospital would be required to document its 
surveillance activities. Such documentation would likely include the 
measures selected for monitoring, and collection of data and analysis 
methods. Just as we would for other parts of the hospital's infection 
prevention and control program, we would require surveillance 
activities to be conducted in accordance with nationally recognized 
infection control surveillance practices, such as the widely accepted 
CDC National Healthcare Safety Network (NHSN). In collaboration with 
the hospital's QAPI program, the hospital would be required to develop 
and implement appropriate infection prevention and control 
interventions to address issues identified through its detection 
activities. Hospitals are encouraged to have mechanisms in place for 
the early identification of patients with targeted MDROs prevalent in 
their hospital and community, and for the prevention of transmission of 
such MDROs. When ongoing transmission of targeted MDROs in the hospital 
is identified, the infection prevention and control program would use 
this event to identify potential breaches in infection control 
practice.
    As has previously been suggested in Interpretive Guidance, 
surveillance could also include ``automated surveillance'' by way of 
analyzing useful information from infection control data through the 
systematic application of medical informatics and computer science 
technologies. (See also Wright, M. Automated Surveillance and Infection 
Control: Toward a better tomorrow. Am J Infect Control 2008; 36:S1-S5.) 
Automated surveillance includes, but is not limited to, either data 
mining (discovering patterns and relationships which can be used to 
classify and predict) or query-based data management (requires user 
input, but does not seek patterns independently). A variety of 
automated systems exist and include both commercial and hospital-
designed systems which, at a minimum, integrate portions of the medical 
record with laboratory, admission, discharge, transfer, and treatment 
information.
    We are also proposing a new requirement that hospitals demonstrate 
adherence to nationally recognized infection prevention and control 
guidelines, as well as best practices for improving antibiotic use, 
where applicable, for reducing the development and transmission of HAIs 
and antibiotic-resistant organisms. We realize that, in developing the 
patient health and safety requirements that are the hospital CoPs, 
particular attention must be paid to the ever-evolving nature of 
medicine and patient care. Moreover, a certain degree of latitude must 
be left in the requirements to allow for innovations in medical 
practice that improve the quality of care and move toward the reduction 
of medical errors and patient harm.
    We are proposing to intentionally build flexibility into the 
regulation by proposing language that requires hospitals to demonstrate 
adherence to nationally recognized guidelines rather than any specific 
guideline or set of guidelines for infection prevention and control and 
for antibiotic stewardship. While the CDC guidelines represent one set, 
there are other sets of nationally recognized guidelines from which 
hospitals might choose, such as those established by SHEA and IDSA. We 
believe this approach would provide hospitals the flexibility they need 
to select and integrate those standards that best suit their individual 
infection prevention and control and antibiotic stewardship programs. 
We also believe this approach would allow hospitals the flexibility to 
adapt their policies and procedures in concert with any updates in the 
guidelines they have elected to follow.
Sec.  482.42(a) Standard: Infection Prevention and Control Program 
Organization and Policies
    We propose substantive changes to Sec.  482.42(a), which sets forth 
the standard on ``Organization and policies.'' First, we propose a 
change in the title of this standard that would now read, ``Infection 
prevention and control program organization and policies.'' Current 
requirements pertaining to an infection control officer or officers 
would be amended within Sec.  482.42(a) and some would be moved to 
Sec.  482.42(c)(2).
Sec.  482.42(a)(1) Infection Control Officer(s)
    Specifically, at Sec.  482.42(a)(1), we propose to require the 
hospital to appoint an infection preventionist(s)/infection control 
professional(s). Within this proposed change we are deleting the 
outdated term, ``infection control officer,'' and replacing it with the 
more current and accurate terms, ``infection

[[Page 39456]]

preventionist/infection control professional.'' CDC has defined 
``infection control professional (ICP)'' as ``a person whose primary 
training is in either nursing, medical technology, microbiology, or 
epidemiology and who has acquired specialized training in infection 
control.'' In designating infection preventionists/ICPs, hospitals 
should ensure that the individuals so designated are qualified through 
education, training, experience, or certification (such as that offered 
by the Certification Board of Infection Control and Epidemiology Inc. 
(CBIC), or by the specialty boards in adult or pediatric infectious 
diseases offered for physicians by the American Board of Internal 
Medicine (for internists) and the American Board of Pediatrics (for 
pediatricians)). Infection preventionists/ICPs should maintain their 
qualifications through ongoing education and training, which can be 
demonstrated by participation in infection control courses, or in local 
and national meetings, organized by recognized professional societies, 
such as Association for Professionals in Infection Control and 
Epidemiology (APIC), Association of periOperative Registered Nurses 
(AORN), Society for Healthcare Epidemiology of America (SHEA), and the 
Infectious Diseases Society of America (IDSA).
    We would also require hospitals to seek out and consider the 
recommendations of medical staff leadership and nursing leadership in 
making such appointments. The proposed requirement would be a subtle, 
but important, departure from the current requirement at Sec.  
482.42(a), which simply requires that an officer or officers be 
designated to implement and develop the program. We believe our 
proposed approach would require high-level hospital clinical 
leadership, such as those individuals responsible for the medical staff 
and for the nursing service, be involved in the process of selecting 
the infection preventionists/ICPs, and is in keeping with our aim of 
promoting a hospital-wide culture of safety and quality in which input 
across the hospital is solicited and acted upon.
    While we are proposing a change to the qualifications for infection 
preventionists/ICPs, we wish to highlight that the other requirements 
for designating an individual or individuals would remain otherwise 
unchanged. A hospital can still designate one or more individuals to 
fulfill the responsibilities within an infection prevention and control 
program. In a setting with multiple infection preventionists/ICPs, we 
would expect them to work together as an integrated team. What is 
important is that the functions of an infection prevention and control 
program are covered; it is not necessary for all functions to rest with 
one individual.
Sec.  482.42(a)(2) Preventing and Controlling the Transmission of 
Infections Within the Hospital and Between the Hospital and Other 
Institutions and Settings
    We have proposed language at Sec.  482.42(a)(2) that would adjust 
the scope of the hospitals' prevention and control programs from its 
current focus on transmission of infections between ``patients and 
personnel'' by proposing a focus on ``transmission of infection'' in 
the broader sense. This change is intended to reflect the efforts 
hospitals must make to prevent and control infections not just between 
patients and personnel, but also between individuals across the entire 
hospital setting (for example, among patients, personnel, and visitors) 
as well as between the hospital and other healthcare institutions and 
settings and between patients and the healthcare environment. In the 
case of transmission of infections within the hospital, we would expect 
hospitals to consider the impact of their outpatient facilities on 
their inpatient units. We would expect hospitals to look to guidelines, 
such as those summarized by the CDC in its recent publication, ``Guide 
to Infection Prevention for Outpatient Settings: Minimum Expectations 
for Safe Care.'' (CDC. ``Guide to Infection Prevention for Outpatient 
Settings'' Accessed 18 November 2015 http://www.cdc.gov/HAI/settings/outpatient/outpatient-care-guidelines.html).
    We believe this section reflects current best practices that are in 
place in most hospitals. The reality is that patients move between 
settings with great frequency and carry organisms with them, hence it 
is imperative that hospitals approach multi-drug resistant organism 
control from the broader perspective in order to protect their patients 
and staff. A concrete example of this already being part of current 
practice is that hospitals are already required to track both hospital- 
and community-onset cases of CDI, because research has shown that 
community-onset cases of CDI can impact hospitals. Likewise, the role 
of the environment is being increasingly recognized as an important 
source of infections and this change simply reflects this data and best 
practices. There are many good examples of hospitals working on 
preventing the spread of infection between healthcare environments. 
This update also fits with the clarification that these CoPs apply to 
both a hospital's inpatient and outpatient locations.
Sec.  482.42(a)(3) Healthcare-Associated Infections (HAIs)
    In this proposed rule, we are also expanding the focus on and the 
awareness of the sources of HAIs that a hospital must address through 
its infection prevention and control program. We believe this change is 
appropriate given the rise in HAIs related to inter-facility transfer 
of patients, as people move through the system and across the continuum 
of health care. Given the number of facilities through which a patient 
might travel, our proposal to increase the involvement of hospital 
infection prevention and control programs would facilitate 
communication across settings. The provision would also require the 
program to address any infection control issues identified by public 
health authorities. Hospitals could look to the HHS Action Plan to 
Prevent Healthcare-Associated Infections as a resource for identifying 
prominent HAIs. (HHS. ``HHS Action Plan to Prevent Healthcare-
Associated Infections.'' Accessed 3 August 2011 http://www.hhs.gov/ash/initiatives/hai/actionplan/index.html).
    Hospitals could also find it helpful to refer to the list (which 
features several categories of HACs and includes specific types of 
HAIs) that CMS publishes annually in its FY 2016 Inpatient Prospective 
Payment System final rule (80 FR 49325), in accordance with section 
5001(c) of the Deficit Reduction Act (DRA) of 2005.
Sec.  482.42(a)(4) Scope and Complexity
    We also propose to add a requirement at Sec.  482.42(a)(4) to 
clarify that we would expect hospitals to develop and manage an 
infection prevention and control program that ``reflects the scope and 
complexity of the hospital services provided.'' For example, a hospital 
that offers surgical services (contrasted with a hospital that does not 
offer surgical services) would be expected to have an infection 
prevention and control program that addresses infection issues specific 
to the surgical patient. Also, the CDC's Healthcare Infection Control 
Practices Advisory Committee (HICPAC), as well as professional 
infection control organizations such as APIC and SHEA, publish studies 
and recommendations on resource allocation that hospitals might find 
useful.

[[Page 39457]]

Sec.  482.42(b) Standard: Antibiotic Stewardship Program Organization 
and Policies
    We propose a new standard at Sec.  482.42(b) titled, ``Antibiotic 
stewardship program organization and policies,'' in order to require 
hospitals to have policies and procedures for, and to demonstrate 
evidence of, an active and hospital-wide antibiotic stewardship 
program. Antibiotic stewardship, as an area of infection control, has 
long been recognized as one of the special challenges that hospitals 
must meet in order to address the problems of multidrug-resistant 
organisms and CDIs in hospitals.
    As part of the antibiotic stewardship program, we propose that 
hospitals would be required to improve their internal coordination 
among all components responsible for antibiotic use and reducing the 
development of resistance, including, but not limited to, the infection 
prevention and control program, the QAPI program, the medical staff, 
nursing services, and pharmacy services. We also propose a requirement 
for hospitals to promote evidence-based use of antibiotics, and to 
reduce the incidence of adverse consequences of inappropriate 
antibiotic use including, but not limited to, CDIs and growth of 
antibiotic resistance in the hospital overall. CMS believes that the 
proposed requirement for a hospital to implement and maintain an active 
and hospital-wide antibiotic stewardship program will prove to be an 
effective means to improve hospital antibiotic-prescribing practices 
and thereby curb patient risk for potentially life-threatening, 
antibiotic-resistant infections, including CDI. We also believe that a 
robust antibiotic stewardship program that is coordinated with the 
hospital's overall infection prevention and control program might 
provide a synergistic approach to addressing HAIs and antibiotic 
resistance. In a November 2013 report entitled ``Appropriate Use of 
Medical Resources,'' the American Hospital Association lists antibiotic 
stewardship as one of the top five ways that hospitals can improve the 
use of their medical resources (Combes J.R. and Arespacochaga E., 
Appropriate Use of Medical Resources. American Hospital Association's 
Physician Leadership Forum, Chicago, IL. November 2013.).
    Further supporting this call for hospital AS programs, CDC recently 
issued a detailed study through its Morbidity and Mortality Weekly 
Report (MMWR) released March 7, 2014 that found that antibiotic 
prescribing for inpatients is common, and that there is ample 
opportunity to improve use and patient safety by reducing incorrect and 
inappropriate antibiotic prescribing (http://www.cdc.gov/mmwr/preview/mmwrhtml/mm6309a4.htm?s_cid=mm6309a4_w Accessed March 14, 2014). Prior 
to the release of this study on MMWR, CDC also issued early releases of 
this information on both its Vital Signs and Get Smart for Healthcare 
sites (http://www.cdc.gov/vitalsigns/antibiotic-prescribing-practices/index.html; http://www.cdc.gov/getsmart/healthcare/ both accessed March 
4, 2014.). According to these reports:
     About one-third of the time, in prescribing the critical 
and common drug vancomycin and in the treatment of common urinary tract 
infections, patients were given antibiotics without proper testing or 
evaluation, were given drugs for too long, or were given antibiotics 
when evidence suggested they were not needed at all.
     Clinicians in some hospitals prescribed three times as 
many antibiotics as clinicians in other hospitals, even though patients 
were receiving care in similar areas of each hospital. This difference 
suggests the need to improve prescribing practices.
     A 30 percent reduction in the broad-spectrum antibiotics 
most likely to cause CDI could reduce these deadly infections by 26 
percent.
    Additionally and prior to CMS drafting this proposed rule, the 
Infectious Disease Society of America (IDSA) and SHEA wrote a letter to 
CMS (dated March 4, 2014) detailing ``the supportive evidence and 
rationale to adopt Antimicrobial Stewardship (AS) as a Medicare 
Condition of Participation (CoP).'' In the letter, IDSA and SHEA define 
``antibiotic stewardship'' as ``the optimal use of antimicrobials to 
achieve the best clinical outcomes while minimizing adverse events, 
limiting factors that lead to antimicrobial resistance, and reducing 
excessive costs attributable to suboptimal antimicrobial use.'' They 
presented extensive evidence for the value that antibiotic stewardship 
programs could hold for patients and hospitals as well as for the 
overall healthcare system. The letter cited numerous studies that 
demonstrated that ``AS programs provide significant cost savings or at 
least offset the cost of AS programs through reduction in drug 
acquisition costs, correlating with improved clinical outcomes.'' 
(http://www.shea-online.org/View/ArticleId/265/SHEA-IDSA-letter-to-CMS-advancing-Antimicrobial-Stewardship-as-a-Condition-of-Participation.aspx)
    As is the case for infection prevention and control programs, we 
believe there should be flexibility in how antibiotic stewardship 
programs are implemented. Guidance on best practices for implementing 
antibiotic stewardship programs is available from several 
organizations, including IDSA, SHEA, the American Society for Health 
System Pharmacists, and CDC.\1\
---------------------------------------------------------------------------

    \1\ ``Antimicrobial Agent Use''. http://www.idsociety.org/Antimicrobial_Agents/. ``Antimicrobial Stewardship: Guidelines''. 
http://www.shea-online.org/PriorityTopics/AntimicrobialStewardship/Guidelines.aspx. ``Antimicrobial Stewardship Resources''. http://www.ashp.org/menu/PracticePolicy/ResourceCenters/Inpatient-Care-Practitioners/Antimicrobial-Stewardship. ``Core Elements of Hospital 
Antibiotic Stewardship Programs'' http://www.cdc.gov/getsmart/healthcare/implementation/core-elements.html.
---------------------------------------------------------------------------

    Taken as a whole, the studies and the supportive evidence show 
overwhelmingly that hospital AS programs can be implemented in all 
hospitals and would, as IDSA and SHEA state in their letter, ``better 
patient care, improve outcomes, and lower the healthcare costs 
associated with antibiotic overuse (that is, expenditures on 
antibiotics) as well as costs associated with infections and 
antimicrobial resistance.'' Based on this evidence, we are proposing 
the requirement for hospitals to include AS programs as integral parts 
of their overall infection prevention and control efforts.
Sec.  482.42(b)(1) Leader of the Antibiotic Stewardship Program
    We propose a new provision at Sec.  482.42(b)(1) that would require 
the hospital, with the recommendations of the medical staff leadership 
and pharmacy leadership, to designate an individual, who is qualified 
through education, training, or experience in infectious diseases and/
or antibiotic stewardship, as the leader of the antibiotic stewardship 
program. We believe that the importance of the antibiotic stewardship 
program to the hospital is great enough to warrant the leadership of a 
qualified individual, who would serve as the counterpart to his or her 
colleague(s) leading the hospital's overall infection prevention and 
control program. The skills needed to lead each program are different. 
Infection prevention programs are often led by nursing staff who do not 
prescribe antibiotics. Antibiotic stewardship programs are led by 
physicians and pharmacists who have direct knowledge and experience 
with antibiotic prescribing. However, the ultimate goals of the 
programs on preventing healthcare complications

[[Page 39458]]

like CDI and resistance are common and hence there is the need for 
collaboration. We believe that it is important for the overall success 
of both programs (and for the hospital) that each has its own distinct 
structure and leadership responsibilities, but that each works in close 
collaboration with the other.
Sec.  482.42(b)(2)(i), (ii), and (iii) Meeting the Goals of the 
Antibiotic Stewardship Program
    Proposed requirements at Sec.  482.42(b) would require the hospital 
to ensure that the following goals for an AS program are met: (1) 
Demonstrate coordination among all components of the hospital 
responsible for antibiotic use and factors that lead to antimicrobial 
resistance, including, but not limited to, the infection prevention and 
control program, the QAPI program, the medical staff, nursing services, 
and pharmacy services; (2) document the evidence-based use of 
antibiotics in all departments and services of the hospital; and (3) 
demonstrate improvements, including sustained improvements, in proper 
antibiotic use, such as through reductions in CDI and antibiotic 
resistance in all departments and services of the hospital. We believe 
that these components are essential for a robust and effective AS 
program. After this rule is finalized, CMS will develop Interpretive 
Guidelines that will instruct surveyors on how to determine hospital 
compliance with these goals.
Sec.  482.42(b)(3) and (4) Meeting Nationally Recognized Guidelines; 
and Scope and Complexity
    Three new provisions would require the hospital ensure that the AS 
program adheres to nationally recognized guidelines, as well as best 
practices, for improving antibiotic use, and, similar to the 
requirements proposed for the hospital's infection prevention and 
control program at Sec.  482.42(a)(4), the hospital also ensures that 
the AS program reflects the scope and complexity of services offered.
Sec.  482.42(c) Leadership Responsibilities
    We propose to revise the requirements currently at Sec.  482.42(b), 
``Leadership responsibilities,'' by proposing a new standard at Sec.  
482.42(c) that would enhance the accountability of hospital leadership 
for the infection prevention and control and antibiotic stewardship 
programs as well as delineate the responsibilities for the leaders of 
the infection prevention and control program and the AS program 
respectively. We wish to promote a hospital-wide culture of safety and 
quality, and we are proposing these regulatory changes to introduce a 
catalyst at the leadership level. We believe these changes would result 
in the implementation of successful programs such as Executive Walk 
Rounds (EWRs), instituted by Brigham & Women's Hospital in Boston some 
years ago. The goals of these rounds (and others modeled on them) are 
to: Ensure safety is a high priority for senior leadership; increase 
staff awareness of safety issues; educate staff about patient safety 
concepts such as non-punitive reporting; and obtain information from 
staff about safety issues. We also propose to update the requirements 
by adopting a broader reference to ``nursing leadership'' rather than 
``the director of nursing services,'' which is used in the current 
regulation. In addition to consultation with nursing leadership, we 
would also require hospital governing body consultation with medical 
staff, pharmacy leadership, the infection preventionist(s)/infection 
control professional(s), and the leader of the antibiotic stewardship 
program. We believe these changes would provide hospitals with greater 
flexibility and open up the process and expand accountability and 
involvement at all levels.
Sec.  482.42(c)(1) The Governing Body
    We propose requirements at Sec.  482.42(c)(1) that provide greater 
specificity with respect to the responsibilities of hospital leadership 
at the governing body level. As previously set forth, we believe these 
changes are necessary to the hospital-wide culture of quality 
improvement we are promoting.
Sec.  482.42(c)(1)(i) Governing Body Responsibilities
    In particular, we would require at Sec.  482.42(c)(1)(i) that the 
governing body ensure that systems are in place and are operational for 
the tracking of all infection surveillance, prevention, and control, 
and antibiotic use activities, in order to demonstrate the 
implementation, success, and sustainability of such activities.
Sec.  482.42(c)(1)(ii) Governing Body Responsibilities (Cont.)
    We are proposing at Sec.  482.42(c)(1)(ii) that the governing body 
ensure that all HAIs and other infectious diseases identified by the 
infection prevention and control program as well as antibiotic use 
issues identified by the antibiotic stewardship program are addressed 
in collaboration with hospital QAPI leadership. As discussed, we 
believe that a closer, more streamlined connection between infection 
prevention and control and antibiotic stewardship programs with 
hospitals' QAPI programs will translate to better quality and healthier 
patients. Ultimately, better quality and healthier patients reduce 
burden and create efficiencies in health care overall.
Sec.  482.42(c)(2) The Infection Preventionists/Infection Control 
Professionals
    At Sec.  482.42(c)(2), we establish the responsibilities of the 
infection preventionist(s)/infection control professional(s) for the 
hospital's infection prevention and control program.
Sec.  482.42(c)(2)(i) The Infection Preventionists'/Infection Control 
Professionals' Responsibilities
    We propose to add a requirement at Sec.  482.42(c)(2)(i) that would 
make the infection preventionist(s)/infection control professional(s) 
responsible for the development and implementation of hospital-wide 
infection surveillance, prevention, and control policies and procedures 
that adhere to nationally recognized guidelines. Current CMS 
Interpretive Guidelines (SOM, Appendix A, p. 353) for hospitals already 
guide hospitals to follow nationally recognized infection control 
practices or guidelines. This proposed requirement notwithstanding, we 
recognize and appreciate that a hospital might wish to implement safety 
practices as part of an investigation aimed to improve or modify 
accepted standards of infection prevention and control practice, but 
which have not yet been established as national guidelines or even 
emerged from the traditional peer review process. We do not intend to 
discourage these investigational methodologies or approaches. We would, 
however, expect to see the hospitals engaging in these sorts of 
innovative practices to also have an adequate program rooted in the 
traditional evidence-based model. There are ample recognized evidence-
based approaches for hospitals to follow, and we believe our proposed 
requirement for hospitals to adhere to nationally recognized guidelines 
would not impede any hospital's ability to otherwise make progress in 
infection prevention and control.
    Research tells us that healthcare-associated infections are one of 
the most preventable causes of mortality in the United States (U.S.). 
For example, in a seminal study on central line-associated bloodstream 
infections (CLABSIs), known as the Michigan Keystone study, researchers 
demonstrated the profound impact that the use of checklists can

[[Page 39459]]

have when applied to the medical field. The study demonstrated a 66 
percent drop in central line-associated bloodstream infection rates, 
saving 1,500 lives and $100 million. [Pronovost P, Needham D, 
Berenholtz S, Sinopoli D, Chu H, Cosgrove S, et al. An intervention to 
decrease catheter-related bloodstream infections in the ICU. N Engl J 
Med. 2006; 355(25):2725-32.] The study demonstrated that it was 
possible for a diverse array of hospitals with a diverse array of 
patients to adopt the same bundled set of best practices, apply them 
consistently and in a hospital-wide team-like fashion, and produce a 
massive reduction in CLABSIs over a sustained period. Importantly, the 
study also touched off a change in hospital culture, and weakened a 
long-held belief in the medical community that infections were 
inevitable, not truly preventable, and simply a cost of being a patient 
in a hospital. Since publication of this initial study, researchers 
have gone on to demonstrate how the reduction of CLABSIs also 
translates to reductions in mortality and in length of stay. [Lipitz-
Snyderman A, Steinwachs D, Needham D, Colantuoni E, Morlock L, 
Pronovost P, Impact of a statewide intensive care unit quality 
improvement initiative on hospital mortality and length of stay: 
retrospective comparative analysis. BMJ 2011; 342:d219.] Reductions 
have been demonstrated for other HAIs as well, but much more remains to 
be done.
    Finally, by requiring hospitals to adhere to ``nationally 
recognized guidelines,'' we aim to provide hospitals with a broad array 
of options and a large degree of flexibility. We recognize the 
potential for hospitals to become encumbered by competing initiatives 
and requirements whereby they are required to collect different data or 
implement varied solutions for the same problem. For this reason, we 
have drafted broad requirements to afford hospitals the flexibility to 
adopt the approaches which best fit their infection prevention and 
control needs.
Sec.  482.42(c)(2)(ii), (iii), (iv), (v), and (vi) The Infection 
Preventionists'/Infection Control Professionals' Responsibilities 
(Cont.)
    At Sec.  482.42(c)(2)(ii), we propose to make the infection 
preventionist(s)/infection control professional(s) responsible for all 
documentation, written or electronic, of the prevention and control 
program, and its surveillance, prevention, and control activities. As 
used in this context, the word ``documentation'' would encompass both 
collecting and maintaining pertinent information in a systematic 
fashion.
    At Sec.  482.42(c)(2)(iii), we would require that the infection 
preventionist(s)/infection control professional(s) communicate and 
collaborate with the hospital's QAPI program on all infection 
prevention and control issues. By the word ``issues'' we mean all 
concerns, including ones which are emerging and ones which are already 
problematic. We believe this approach will foster and enhance a 
proactive culture around hospitals' infection prevention and control 
programs.
    At Sec.  482.42(c)(2)(iv), we propose that the infection 
preventionist(s)/infection control professional(s) take a direct role 
in the competency-based training and education of hospital personnel 
and staff, including medical staff, and, as applicable, personnel 
providing contracted services in the hospital, on the practical 
applications of infection prevention and control guidelines, policies, 
and procedures. We believe that this proposed revision is more specific 
and more in keeping with current standards of practice in hospitals 
than the current provision at Sec.  482.42(b)(1) that requires a 
hospital to ensure that its training programs address problems 
identified by the infection control officer or officers.
    At Sec.  482.42(c)(2)(v), we propose that the infection 
preventionist(s)/infection control professional(s) be responsible for 
preventing and controlling HAIs, including auditing of adherence to 
infection prevention and control policies and procedures by hospital 
personnel. We believe the infection preventionist(s)/infection control 
professional(s) would find a comprehensive and timely resource in the 
HHS Action Plan to Prevent Healthcare-Associated Infections (HHS. ``HHS 
Action Plan to Prevent Healthcare-Associated Infections.'' Accessed 3 
August 2011 http://www.hhs.gov/ash/initiatives/hai/actionplan/index.html.).
    At Sec.  482.42(c)(2)(vi), we propose that the infection 
preventionist(s)/infection control professional(s) be responsible for 
communication and collaboration with the antibiotic stewardship 
program. Based on the evidence provided by CDC, IDSA, SHEA, and others, 
we believe that collaboration between the hospital's infection 
prevention and control and antibiotic stewardship programs will provide 
the optimal approach to reducing HAIs and antibiotic resistance.
Sec.  482.42(c)(3) The Antibiotic Stewardship Program Leader's 
Responsibilities
    Finally in this CoP, at Sec.  482.42(c)(3), we propose new 
requirements for the hospital's designated antibiotic stewardship 
program leader, similar to the responsibilities we have proposed for 
the hospital's designated infection preventionist(s)/infection control 
professional(s). Based on the evidence, we believe that a hospital 
antibiotic stewardship program is the most effective means for ensuring 
appropriate antibiotic use and for reducing HAIs and antibiotic 
resistance, including deadly CDI. We also believe that such a program 
would require a dedicated and expert leader responsible and accountable 
for its success. Therefore, those responsibilities would be:
     The development and implementation of a hospital-wide 
antibiotic stewardship program, based on nationally recognized 
guidelines, to monitor and improve the use of antibiotics;
     All documentation, written or electronic, of antibiotic 
stewardship program activities;
     Communication and collaboration with medical staff, 
nursing, and pharmacy leadership, as well as the hospital's infection 
prevention and control and QAPI programs, on antibiotic use issues; and
     The competency-based training and education of hospital 
personnel and staff, including medical staff, and, as applicable, 
personnel providing contracted services in the hospital, on the 
practical applications of antibiotic stewardship guidelines, policies, 
and procedures.

F. Technical Corrections

Technical Amendments to Sec.  482.27(b)(7)(ii) and (b)(11)
    In the final rule ``Medicare and Medicaid Programs; Hospital 
Conditions of Participation: Laboratory Services,'' amending 42 CFR 
482.27 (72 FR 48562, 48573, Aug. 24, 2007), we stated that HCV 
notification requirements for donors tested before February 20, 2008, 
would expire on August 24, 2015, in accordance with 21 CFR 610.48.
    Since the notification requirement period has expired, we propose 
to remove Sec.  482.27(b)(11), ``Applicability'' and the corresponding 
requirements set out at Sec.  482.27(b)(7)(ii).
Corrected Reference in Sec.  482.58
    In our review of the Hospital Conditions of Participation, we found 
an incorrect cross-reference at Sec.  482.58(b)(6), which currently 
reads

[[Page 39460]]

``Discharge planning (Sec.  483.20(e))''. Section 483.20(e) addresses 
coordination of the preadmission screening and resident review program, 
not discharge planning. SNF requirements for discharge plans are set 
out at Sec.  483.20(l). Therefore, we propose to correct the reference 
to read ``Discharge summary (Sec.  483.20(l))''.
Removal of Inappropriate References to Sec.  482.12(c)(1)
    Upon our review of the Hospital CoPs for this proposed rule, we 
discovered that there are several provisions that incorrectly reference 
Sec.  482.12(c)(1), which lists the types of physicians and applies 
only to patients who are Medicare beneficiaries. Section 482.12(c) 
states that the governing body of the hospital must ensure that every 
Medicare patient is under the care of one of the following 
practitioners:
     A doctor of medicine or osteopathy;
     A doctor of dental surgery or dental medicine who is 
legally authorized to practice dentistry by the State and who is acting 
within the scope of his or her license;
     A doctor of podiatric medicine, but only with respect to 
functions which he or she is legally authorized by the State to 
perform;
     A doctor of optometry who is legally authorized to 
practice optometry by the State in which he or she practices;
     A chiropractor who is licensed by the State or legally 
authorized to perform the services of a chiropractor, but only with 
respect to treatment by means of manual manipulation of the spine to 
correct a subluxation demonstrated by x-ray to exist; and
     A clinical psychologist as defined in Sec.  410.71, but 
only with respect to clinical psychologist services as defined in Sec.  
410.71 and only to the extent permitted by State law.
    The reference of this ``Medicare beneficiary-only'' requirement in 
other provisions of the CoPs inappropriately links it to all patients 
and not Medicare beneficiaries exclusively. In fact, the Act at section 
1861(e)(4) states that ``every patient with respect to whom payment may 
be made under this title must be under the care of a physician except 
that a patient receiving qualified psychologist services (as defined in 
subsection (ii)) may be under the care of a clinical psychologist with 
respect to such services to the extent permitted under State law.'' In 
accordance with that provision, we have chosen to apply Sec.  482.12(c) 
to Medicare patients. With the exception of a few provisions in the 
CoPs such as those directly related to Sec.  482.12(c) described here, 
the remainder of the CoPs apply to all patients, regardless of payment 
source, and not just Medicare beneficiaries. For example, the Nursing 
Services CoP, at Sec.  482.23(c)(1), requires that all drugs and 
biologicals must be prepared and administered in accordance with 
Federal and State laws, the orders of the practitioner or practitioners 
responsible for the patient's care as specified under Sec.  482.12(c), 
and accepted standards of practice. Since the CoPs clearly allow 
hospitals to determine which categories of practitioners would be 
responsible for the care of other patients, outside the narrow Medicare 
beneficiary restrictions of Sec.  482.12(c), this reference is 
inappropriate and unnecessarily restrictive of hospitals and their 
medical staffs to make these determinations based on State law and 
practitioner scope of practice.
    In order to clarify that these provisions apply to all patients and 
not only Medicare beneficiaries, in this rule we are proposing to 
delete any inappropriate references to Sec.  482.12(c). Therefore, we 
propose to delete references to Sec.  482.12(c) found in the following 
provisions: Sec.  482.13(e)(5), (e)(8)(ii), (e)(14), and (g)(4)(ii) in 
the Patients' Rights CoP; and Sec.  482.23(c)(1) and (3) in the Nursing 
Services CoP. With respect to all of these provisions, the reference to 
services provided under the order of a physician or other practitioner 
would still apply.

G. Critical Access Hospitals

    We have identified several priority areas in the CoPs for CAHs (42 
CFR part 485, subpart F) for updates and revisions. We believe that 
these proposed regulations would benefit the quality of care provided 
with a positive impact on patient satisfaction, length of stay, and, 
ultimately, cost per patient. Additionally, without potentially 
jeopardizing the quality of healthcare in rural areas, we have proposed 
the following changes to the CAH CoPs considering the resource 
restrictions of remote and frontier CAHs.
1. Organizational Structure (Sec.  485.627(b))
    The CoP at Sec.  485.627 provides that the CAH has a governing body 
or an individual that assumes full legal responsibility for 
determining, implementing and monitoring policies governing the CAH's 
total operation and for ensuring that those policies are administered 
so as to provide quality health care in a safe environment. The current 
standard at Sec.  485.627(b) requires the disclosure of names and 
addresses of the person(s) principally responsible for the operation 
and medical direction of the CAH in addition to the disclosure of 
individuals with a controlling interest in the CAH or in any 
subcontractor in which the CAH directly or indirectly has a 5 percent 
or more ownership interest. Since the disclosure of persons having 
ownership, financial, or control interest is required via the provider 
enrollment process as discussed at Sec.  420.206, we do not believe 
that it is appropriate to repeat the requirement under the health and 
safety regulations. Therefore, we are proposing to delete the same 
disclosure requirement at Sec.  485.627(b)(1).
2. Periodic Review of Clinical Privileges and Performance (Sec.  
485.631(d)(1) Through (2))
    The current CoP at Sec.  485.641 requires a CAH to have an 
agreement with respect to credentialing and quality assurance with a 
hospital that is a member of the rural health network (when applicable) 
as defined in Sec.  485.603; one Quality Improvement Organization (QIO) 
or equivalent entity; or one other appropriate and qualified entity 
identified in the State rural health care plan to evaluate the quality 
and appropriateness of the diagnosis and treatment furnished by doctors 
of medicine (MDs) or osteopathy (DOs) at the CAH. In addition, the MD 
and DO (on staff or under contract with the CAH) must evaluate the 
quality and appropriateness of the diagnosis and treatment furnished by 
the CAH's non-physician practitioners.
    We are proposing to change the current CoP at Sec.  485.641 to 
reflect the current QAPI format used in hospitals. As such, we propose 
to retain the requirements under paragraphs Sec.  485.641(b)(3) through 
(4), that are currently found under the ``Periodic evaluation and 
quality assurance'' CoP, and relocate them under a new standard under 
the ``Staffing and staff responsibilities'' CoP at Sec.  485.631. We 
are not changing these requirements and believe that they are still 
appropriate for the CAH regulations. Since the current CoP under Sec.  
485.631 discusses staffing requirements and responsibilities, we 
believe that relocating the requirement under a new standard, entitled 
``Periodic Review of Clinical Privileges and Performance'' (Sec.  
485.631(d)) is a more appropriate placement for the current provisions 
requiring a CAH to evaluate the quality of care provided by their nurse 
practitioners, clinical nurse specialists, certified nurse midwives, 
physician assistants, doctors of medicine, or doctors of osteopathy.

[[Page 39461]]

3. Provision of Services (Sec.  485.635(a)(3)(vii))
    We currently require CAHs at Sec.  485.635(a)(3)(vii) to have 
procedures that ensure that the nutritional needs of inpatients are met 
in accordance with recognized dietary practices and the orders of the 
practitioner responsible for the care of the patients and that the 
requirement of Sec.  483.25(i) is met with respect to inpatients 
receiving post-hospital SNF care. This current requirement asserts that 
a therapeutic diet must be prescribed only by the practitioner or 
practitioners responsible for the care of the patient.
    We finalized a change in the May 12, 2014 Federal Register (79 FR 
27106) to the hospital requirement for Food and Dietetic services 
(Sec.  482.28) that all patient diets, including therapeutic diets, 
must be ordered by a practitioner responsible for the care of the 
patient, or by a qualified dietician or qualified nutrition 
professional as authorized by the medical staff and in accordance with 
State law governing dietitians and nutrition professionals. We are 
proposing a similar change for CAHs because we believe that these rural 
providers and beneficiaries would benefit from such a change. The 
responsibility for the care of the patient in a CAH has traditionally 
been the responsibility of the physician, more specifically the MD and 
DO, and the APRN and PA. We believe that a team-based approach that 
allows for professionals to practice in their area of expertise and to 
the fullest extent allowed by state law would be of great benefit to 
CAH patients. We further believe that patients in these traditionally 
underserved areas deserve the same standard of care as patients receive 
in better-served areas.
    Based on feedback from the provider community, we have come to the 
conclusion that the regulatory language is too restrictive and lacks 
the reasonable flexibility to allow CAHs to permit registered 
dieticians (RDs) to order therapeutic diets for patients in accordance 
with State laws. Because some States elect not to use the regulatory 
term ``registered'' and choose instead to use the term ``licensed'' (or 
no modifying term at all), or because some States also recognize other 
nutrition professionals with equal or possibly more extensive 
qualifications, we propose to use the term ``qualified dietitian.'' In 
those instances where we have used the most common abbreviation for 
dietitians, ``RD,'' in this preamble, our intention is to include all 
qualified dietitians and any other clinically qualified nutrition 
professionals, regardless of the modifying term (or lack thereof), as 
long as each qualified dietitian or qualified nutrition professional 
meets the requirements of his or her respective State laws, 
regulations, or other appropriate professional standards.
    Based on a review of the professional literature on this subject, 
we believe that RDs are the professionals who are best qualified to 
assess a patient's nutritional status and to design and implement a 
nutritional treatment plan in consultation with the patient's 
interdisciplinary care team. In order for patients to receive timely 
nutritional care, the RD must be viewed as an integral member of the 
CAH's interdisciplinary care team, one who, as the team's clinical 
nutrition expert, is responsible for a patient's nutritional diagnosis 
and treatment in light of the patient's medical diagnoses. Without the 
proposed regulatory changes allowing them to grant appropriate ordering 
privileges to RDs, CAHs would not be able to effectively realize the 
improved patient outcomes and overall cost savings that we believe 
would be possible with such changes. The literature also supports the 
conclusion that, in addition to providing safe patient care with 
improved outcomes, RDs with ordering privileges contribute to decreased 
patient lengths of stay and provide nutrition services more 
efficiently, resulting in lower costs for hospitals, including small 
and rural hospitals as well as CAHs. (Kinn TJ. Clinical order writing 
privileges. Support Line. 2011; 33; 4; 3-10). A 2010 retrospective 
cohort study of 1,965 patients at an academic medical center looked at 
the influence of the RD with ordering privileges on appropriate 
parenteral nutrition (PN) usage (Peterson SJ, Chen Y, Sullivan CA, et 
al. Assessing the influence of registered dietician order-writing 
privileges on parenteral nutrition use. J AM Diet Assoc. 2010; 110; 
1702 1711). The study showed that inappropriate PN usage decreased from 
482 patients to 240 patients during the pre- and post-ordering 
privileges periods, respectively. The data from this study also 
demonstrated a 20 percent cost savings in PN usage. Additionally, this 
proposed change might also help CAHs to realize other significant 
quality and patient safety improvements as well as savings. A 2008 
study indicates that patients whose PN regimens were ordered by RDs 
have significantly fewer days of hyperglycemia (57 percent versus 23 
percent) and electrolyte abnormalities (72 percent versus 39 percent) 
compared with patients whose PN regimens were ordered by physicians 
(Duffy JK, Gray RL, Roberts S, Glanzer SR, Longoria SL. Independent 
nutrition order writing by registered dieticians reduces complications 
associated with nutrition support [abstract]. J Am Diet Assoc. 2008; 
108 (suppl 1):A9).
    Physicians, APRNs, and PAs might lack the training and educational 
background to manage the sometimes complex nutritional needs of 
patients with the same degree of efficiency and skill as RDs who have 
benefited from curriculums that devote a significant number of 
educational hours to this area of medicine. The addition of ordering 
privileges enhances the ability that RDs already have to provide 
timely, cost-effective, and evidence-based nutrition services as the 
recognized nutrition experts on a hospital and a CAH interdisciplinary 
team and saves valuable time in the care and treatment of patients, 
time that is now often wasted as RDs must seek out physicians, APRNs, 
and PAs to write or co-sign dietary orders. A 2011 literature review 
discusses a number of additional studies that provide further evidence 
for the extensive training and education in nutrition that RDs 
experience as opposed to the limited exposure that physicians receive 
to this area of medicine, along with several other studies supporting 
the cost-effectiveness and positive patient outcomes that hospitals 
might achieve by granting RDs ordering privileges (Kinn TJ. Clinical 
order writing privileges. Support Line. 2011; 33; 4; 3-10).
    In order for patients to have access to the timely nutritional care 
that can be provided by RDs, especially in rural and remote areas, a 
CAH must have the regulatory flexibility either to appoint RDs to the 
medical staff and grant them specific nutritional ordering privileges 
or to authorize the ordering privileges without appointment to the 
medical staff. In either instance, medical staff oversight of RDs and 
their ordering privileges would be ensured. Therefore, we are proposing 
revisions to Sec.  485.635(a)(3)(vii) that would require that 
individual patient nutritional needs be met in accordance with 
recognized dietary practices and the orders of the practitioner 
responsible for the care of the patients, or by a qualified dietician 
or qualified nutrition professional as authorized by the medical staff 
in accordance with State law governing dietitians and nutrition 
professionals. In addition, we are also proposing that the requirement 
of Sec.  483.25(i) is met with respect to inpatients receiving post 
hospital SNF care. Evidence shows that if CAHs choose to grant these 
specific

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ordering privileges to RDs they might achieve a higher quality of care 
for their patients by allowing these professionals to fully and 
efficiently function as important members of the patient care team in 
the role for which they were trained. As a result, it is expected that 
CAHs would realize cost savings in many of the areas affected by 
nutritional care. We welcome public comments on this proposed change.
Provision of Services (Sec.  485.635(g))
    At Sec.  485.635(g) we propose a new requirement regarding non-
discriminatory behavior. As discussed in this preamble at Sec.  482.13 
with regard to hospitals, we are aware that discriminatory behavior by 
healthcare providers can create barriers to care and result in adverse 
outcomes for patients. The fear of discrimination alone can limit the 
extent to which a person accesses health services.
    While the CAH CoPs at Sec.  485.608 require that a CAH be in 
compliance with applicable Federal laws related to the health and 
safety of patients, there is currently no explicit prohibition of 
discrimination in the CAH CoPs. We propose to require that a CAH not 
discriminate on the basis of race, color, religion, national origin, 
sex (including gender identity), sexual orientation, age, or 
disability. We are proposing these requirements to ensure 
nondiscrimination as required by Section 1557 of the Affordable Care 
Act, which prohibits health programs and activities that receive 
federal financial assistance, such as Medicare and Medicaid, from 
excluding or denying beneficiaries participation based on their race, 
color, national origin, sex (including gender identity), age, or 
disability. As discussed in section II.A.1 of this proposed rule, we 
believe that discrimination based on a patient's religion or sexual 
orientation can potentially lead to a denial of services or inadequate 
care, which is detrimental to the patient's health and safety. We are 
therefore also proposing to establish explicit requirements that a CAH 
not discriminate on the basis of religion or sexual orientation and 
that a CAH establish and implement a written policy prohibiting 
discrimination on the basis of religion or sexual orientation. We are 
doing so under the statutory authority of Section 1820(e)(3) of the 
Act, which sets forth the conditions for designating certain hospitals 
as CAHs.
    We further propose that CAHs establish and implement a written 
policy prohibiting discrimination. As noted in our explanation of the 
proposed policy applicable to hospitals, freedom from discrimination 
correlates with improved health outcomes. The same would be true of 
CAHs.
    CAHs would be required to inform each patient (including the 
patient's support person, where appropriate) of the right to be free 
from discrimination in a language that the patient can understand. In 
addition, we propose to require that the CAH inform the patient and/or 
representative, and/or support person, on how he or she can seek 
assistance if they encounter discrimination.
4. Infection Prevention and Control and Antibiotic Stewardship Programs 
(Sec.  485.640)
    CMS retained the former Essential Access Community Hospitals and 
Rural Primary Care Hospitals (EACH/RPCH) Infection Control regulation 
for CAHs in the 1997 Federal Register (62 FR 46008, August 29, 1997) in 
the subsequent CoP requirements at Sec.  485.635(a)(3)(vi) and at Sec.  
485.641(b)(2). The infection control requirements for CAHs have 
remained unchanged since 1997. We are proposing to remove the current 
requirements at Sec. Sec.  485.635(a)(3)(vi) and 485.641(b)(2) and are 
adding a new infection prevention and control and antibiotic 
stewardship CoP for CAHs because the existing standards for infection 
control do not reflect the current nationally recognized standards of 
practice for the prevention and elimination of healthcare-associated 
infections and for the appropriate use of antibiotics.
    We discuss at length in this preamble at Sec.  482.42 the issues 
and concerns regarding infection control, healthcare-associated 
infections, antibiotic overuse, and the industry recommendations for 
addressing these serious and growing problems. Therefore, we will not 
have a lengthy discussion of the background and rationale in this 
section. Additionally, note that a March 6, 2014 article of the Health 
Leaders Media entitled, ``Size Matters in Antibiotic Overuse,'' 
discusses the variation in prescribing practices among hospitals 
(Cheryl Clark, Health Leaders Media Council Quality e-Newsletter, March 
6, 2014). Some hospitals are prone to give antibiotics as much as three 
times more often than other hospitals, despite a similar patient mix. 
The article features research results authored by clinicians at a large 
hospital system with more than 80 hospitals in 21 states. The research 
showed that antibiotic prescribing practices at 69 hospitals had 
significant variations in the use of antibiotics across the 69 
hospitals. They found that the lower the ``case mix index,'' or 
severity of illness at a particular hospital, and the smaller the 
hospital in terms of number of beds, the more antibiotics were used on 
patients and the more money was spent on the cost of those drugs. The 
report discussed that one possible cause could be that hospitals 
located in smaller, perhaps rural areas, or CAHs might lack access to 
rapid, sophisticated lab equipment to identify the type of microbes 
their patients might have.
    The report also theorized that it was likely that smaller hospitals 
do not have as robust of an antimicrobial stewardship program as larger 
hospitals. The research documented several factors associated with 
higher antibiotic use at smaller or rural hospitals:
     Lack of awareness on judicious antibiotic use;
     Lack of teamwork among pharmacists and physicians;
     Lack of a formal process on appropriate indications for 
broad spectrum agent use;
     Lack of prospective monitoring on continuation of broad 
spectrum agent use, such as de-escalation of use after negative result 
from culture and sensitivity testing; and
     Lack of resistance trend monitoring and making appropriate 
process changes to reduce resistance.
    We are therefore proposing that each CAH has facility-wide 
infection prevention and control and antibiotic stewardship programs. 
The programs would be coordinated with the CAH QAPI program, for the 
surveillance, prevention, and control of HAIs and other infectious 
diseases and for the optimization of antibiotic use through 
stewardship. We are emphasizing the importance of antibiotic 
stewardship because it could play a vital role in a CAH's successful 
efforts in combatting antimicrobial resistance. The programs would 
demonstrate adherence to nationally recognized infection control 
guidelines, where applicable, for reducing the transmission of 
infections, as well as best practices for improving antibiotic use and 
reducing the development and transmission of HAIs and antibiotic-
resistant organisms. We believe that this approach would provide CAHs 
the flexibility they need to select and integrate standards and best 
practices which are best suited to their individual infection 
prevention and control program.
Sec.  485.640(a)(1) and (2) Infection Control Officer(s); and 
Prevention and Control of Infections Within the CAH and Between the CAH 
and Other Healthcare Settings
    At Sec.  485.640(a)(1) we propose that the CAH ensure that an 
individual (or individuals), who are qualified through

[[Page 39463]]

education, training, experience, or certified in infection, prevention 
and control, are appointed by the governing body, or responsible 
individual, as the infection preventionist(s)/infection control 
professional(s) responsible for the infection prevention and control 
program at the CAH and that the appointment is based on the 
recommendations of medical staff and nursing leadership. We recognize 
that CAHs use a variety of staffing models including direct employment, 
contracted services, and shared service agreements. In Sec.  485.640, 
we do not require any specific staffing model(s) for the 
professional(s) responsible for the facility-wide infection prevention 
and control and antibiotic stewardship programs. The CAH's staffing for 
these programs should be appropriate to the scope and complexity of the 
services offered at the CAH.
    We propose at Sec.  485.640(a)(2) that the infection prevention and 
control program, as documented in its policies and procedures, employ 
methods for preventing and controlling the transmission of infections 
within the CAH and between the CAH and other healthcare settings. We 
believe that a coordinated, overall quality approach would enable CAHs 
to achieve results that would better serve their patients and reduce 
cost. The program, as documented in its policies and procedures, would 
have to employ methods for preventing and controlling the transmission 
of infection within the CAH setting (for example, among patients, 
personnel, and visitors) as well as between the CAH (including 
outpatient services) and other institutions and healthcare settings. As 
discussed at section II.G of this preamble, we would expect CAHs to 
look to the CDC guidelines for guidance (http://www.cdc.gov/hai/pdfs/guidelines/Ambulatory-Care+Checklist_508_11_2015.pdf.)
Sec.  485.640(a)(3) Healthcare-Associated Infections (HAIs)
    We propose at Sec.  485.640(a)(3) that the infection prevention and 
control program include surveillance, prevention, and control of HAIs, 
including maintaining a clean and sanitary environment to avoid sources 
and transmission of infection, and that the program also address any 
infection control issues identified by public health authorities.
Sec.  485.640(a)(4) Scope and Complexity
    We are proposing at Sec.  485.640(a)(4) that the infection 
prevention and control program reflects the scope and complexity of the 
services provided by the CAH.
Sec.  485.640(b)(1) Leader of the Antibiotic Stewardship Program
    We propose at Sec.  485.640(b)(1) that the CAH's governing body 
ensure that an individual, who is qualified through education, 
training, or experience in infectious diseases and/or antibiotic 
stewardship is appointed as the leader of the antibiotic stewardship 
program and that the appointment is based on the recommendations of 
medical staff and pharmacy leadership.
Sec.  485.640(b)(2)(i),(ii), and (iii) Goals of the Antibiotic 
Stewardship Program
    The proposed requirements at Sec.  485.640(b)(2)(i),(ii), and (iii) 
would ensure that the following goals for an antibiotic stewardship 
program are met: (i) Demonstrate coordination among all components of 
the CAH responsible for antibiotic use and resistance, including, but 
not limited to, the infection prevention and control program, the QAPI 
program, the medical staff, and nursing and pharmacy services; (ii) 
document the evidence-based use of antibiotics in all departments and 
services of the CAH; and (iii) demonstrate improvements, including 
sustained improvements, in proper antibiotic use, such as through 
reductions in, CDI and antibiotic resistance in all departments and 
services of the hospital. We believe that these three components are 
essential for an effective program.
Sec.  485.640(b)(3) and (4) Nationally Recognized Guidelines; and Scope 
and Complexity
    These provisions would require the CAH to ensure that the 
antibiotic stewardship program adheres to the nationally recognized 
guidelines, as well as best practices, for improving antibiotic use. 
The CAH's stewardship program would have to reflect the scope and 
complexity of services offered. For example, we would not expect a CAH 
that did not offer surgical services to address antibiotic stewardship 
issues specific to surgical patients. We believe these proposed 
requirements are necessary to promote a facility-wide culture of 
quality improvement.
Sec.  485.640(c)(1), (2), and (3) Governing Body; Infection Prevention 
and Control Professionals'; and Antibiotic Stewardship Program Leader's 
Responsibilities
    We would require that the governing body or responsible individual 
ensure that the infection prevention and control issues identified by 
the infection prevention and control professionals be addressed in 
collaboration with CAH leadership. We therefore propose at Sec.  
485.640(c)(1)(i) and (ii), requirements that the governing body or 
responsible individual ensure that:
     Systems are in place and operational for the tracking of 
all infection surveillance, prevention, and control, and antibiotic use 
activities in order to demonstrate the implementation, success, and 
sustainability of such activities; and
     All HAIs and other infectious diseases identified by the 
infection prevention and control program and antibiotic use issues 
identified by the antibiotic stewardship program are addressed in 
collaboration with CAH QAPI leadership.
    At Sec.  485.640(c)(2)(i)-(vi), we propose that the 
responsibilities of the infection prevention and control professionals 
would include the development and implementation of facility-wide 
infection surveillance, prevention, and control policies and procedures 
that adhere to nationally recognized guidelines.
    The governing body or responsible individual would be responsible 
for all documentation, written or electronic, of the infection 
prevention and control program and its surveillance, prevention, and 
control activities. Additionally, the infection preventionist(s)/
infection control professional(s) would be responsible for:
     Communication and collaboration with the CAH's QAPI 
program on infection prevention and control issues;
     Competency-based training and education of CAH personnel 
and staff including professional health care staff and, as applicable, 
personnel providing services in the CAH under agreement or arrangement, 
on the practical applications of infection prevention and control 
guidelines, policies and procedures;
     Prevention and control of HAIs, including auditing of 
adherence to infection prevention and control policies and procedures 
by CAH personnel; and
     Communication and collaboration with the antibiotic 
stewardship program.
    Finally in this CoP, at Sec.  485.640(c)(3), we propose 
requirements for the leader of the antibiotic stewardship program 
similar to the proposed responsibilities for the CAH's designated 
infection preventionist(s)/infection control professional(s) at 
paragraph (c)(2). We believe that a CAH's antibiotic stewardship 
program is the most effective means for ensuring appropriate antibiotic 
use. We also believe that such

[[Page 39464]]

a program would require a leader responsible and accountable for its 
success. Therefore, we propose that the leader of the antibiotic 
stewardship program would be responsible for the development and 
implementation of a facility-wide antibiotic stewardship program, based 
on nationally recognized guidelines, to monitor and improve the use of 
antibiotics. We also propose that the leader of the antibiotic 
stewardship program would be responsible for all documentation, written 
or electronic, of antibiotic stewardship program activities. The leader 
would also be responsible for communicating and collaborating with 
medical and nursing staff, pharmacy leadership, and the CAH's infection 
prevention and control and QAPI programs, on antibiotic use issues.
    Finally, we propose that the leader would be responsible for the 
competency-based training and education of CAH personnel and staff, 
including medical staff, and, as applicable, personnel providing 
contracted services in the CAHs, on the practical applications of 
antibiotic stewardship guidelines, policies, and procedures.
5. Quality Assessment and Performance Improvement (QAPI) Program (Sec.  
485.641)
    Since May 26, 1993 (58 FR 30630), the ``Periodic evaluation and 
quality assurance review'' CoP (Sec.  485.641) has not been updated to 
reflect current industry standards that utilize the QAPI model (Sec.  
482.21) to assess and improve patient care. Currently, a CAH is 
required to evaluate its total program (for example, policies and 
procedures and services provided) annually. The evaluation must include 
reviewing the utilization of the CAH services using a representative 
sample of both active and closed clinical records, as well as reviewing 
the facility's health care policies. The purpose of the evaluation is 
to determine whether the utilization of services was appropriate, the 
established policies were followed, and if any changes are needed. The 
CAH's staff considers the findings of the evaluation and takes the 
necessary corrective action. These requirements focus on how well the 
CAH adhered to the evaluation standards and require the CAH to document 
its efforts. The existing annual evaluation and quality assurance 
review requirements at Sec.  485.641 are reactive; that is, once a 
problem has been identified, the health care facility takes action to 
correct it.
    The focus of a QAPI program is to proactively maximize quality 
improvement activities and programs, even in areas where no specific 
deficiencies are noted. A QAPI program enables the organization to 
review systematically its operating systems and processes of care to 
identify and implement opportunities for improvement.
    An effective QAPI program that is engaged in continuous improvement 
efforts is essential to a provider's ability to provide high quality 
and safe care to its patients, while reducing the incidence of medical 
errors and adverse events. However, patient harm still remains a 
considerable problem in our nation's hospitals. The IOM report, ``To 
Err Is Human: Building a Safer Health System,'' focused widespread 
attention on the problem of adverse events and is a call to action for 
the entire health care system. (L.T. Kohn, J.M. Corrigan, and M.S. 
Donaldson, eds., To Err Is Human: Building a Safer Health System, A 
Report of the Committee on Quality of Health Care in America, p. 102, 
IOM, National Academy Press, 2000.) The report highlighted patient 
injuries associated with medical errors. More recent reports, however, 
document that the problems identified in ``To Err is Human'' have not 
yet been resolved. A 2010 Office of the Inspector General Report 
estimated that during October 2008, 13.5 percent of hospitalized 
Medicare beneficiaries experienced adverse events during their hospital 
stays (Department of Health and Human Services Office of Inspector 
General, ``Adverse Events in Hospitals: National Incidence Among 
Medicare Beneficiaries'' (OEI-06-09-00090). A 2013 literature review 
concluded that at least 210,000 deaths per year were associated with 
preventable harm in hospitals. The evidence indicates that patients are 
being harmed every day in hospitals across the country and that more 
work is needed to reduce this harm.
    In ``To Err is Human,'' an error is defined as ``the failure of a 
planned action to be completed as intended or the use of a wrong plan 
to achieve an aim.'' Examples of medical errors include:
     Medication administration errors (for example, wrong 
medication, wrong dosage, wrong route, wrong time, wrong patient.);
     Equipment failures (for example, defibrillator without 
working batteries, etc.); and
     Diagnostic errors.
    A 2003 report by The National Advisory Committee on Rural Health 
and Human Services to the Secretary of the HHS notes that the general 
concept of health care quality does not change from urban to rural 
settings (The National Advisory Committee on Rural Health and Human 
Services. Health Care Quality: The Rural Context. April, 2003; p. 6-
10). The focus remains on providing the right service at the right time 
in the right way to achieve the optimal outcome. The only rural-urban 
variable within that equation is the context. While the notion of 
quality remains constant, the settings in which the care is provided--
including their structures and processes (for example, transferring 
patients to larger facilities vs. being able to keep them for 
observation)--can be quite different. The most elementary differences 
have to do with scope and scale.
    The 2004 IOM Report, ``Quality Through Collaboration: The Future of 
Rural Health,'' reports that to improve quality, rural providers, like 
their urban counterparts, must adopt a comprehensive approach to 
quality improvement (National Research Council. Quality Through 
Collaboration: The Future of Rural Health Care. Washington, DC: The 
National Academies Press, 2005. http://www.iom.edu/Reports/2004/Quality-Through-Collaboration-The-Future-of-Rural-Health.aspx#sthash.2zF6T8kE.dpuf dpuf). This approach needs to encompass 
clinical knowledge and the tools necessary to apply this knowledge to 
practice, including practice guidelines and computer-aided decision 
support, standardized performance measures, performance measurement and 
data feedback capabilities, and quality improvement processes and 
resources.
    A QAPI program would enable a CAH to systematically review its 
operating systems and processes of care to identify and implement 
opportunities for improvement. We also believe that the leadership or 
governing body or responsible individual of a CAH must be responsible 
and accountable for patient safety, including the reduction of medical 
errors in the facility.
    We propose to revise Sec.  485.641 to set forth new explicit 
requirements for a QAPI program at a CAH. We believe that much of the 
work and resources that are currently required under the existing 
periodic evaluation and quality assurance CoP would be utilized to 
adhere to the new QAPI requirement. As noted previously, we propose to 
retain the requirements under paragraphs Sec.  485.641(b)(3) and (4) 
regarding the evaluation of the diagnosis and treatment furnished by 
physicians and non-physician practitioners; we are proposing that this 
be moved from the ``Periodic evaluation and quality assurance'' CoP, 
and relocate them to a

[[Page 39465]]

new standard under the ``Staffing and staff responsibilities'' CoP at 
Sec.  485.631.
    CAHs are currently required to have an effective quality assurance 
program to evaluate the quality and appropriateness of the diagnosis 
and treatment furnished in the CAH and of the treatment outcomes. We 
are proposing that, under Sec.  485.641, the CAH be required to 
develop, implement, and maintain an effective, ongoing, facility-wide, 
and data-driven QAPI program. The QAPI program would have to be 
appropriate for the complexity of the CAH's organization and services 
provided.
    We propose to rename the current ``Periodic evaluation and quality 
assurance review'' provisions at Sec.  485.641 ``Condition of 
participation: Quality assessment and performance improvement 
program.'' At Sec.  485.641, we also propose to revise and replace the 
current standards with the new proposed QAPI program containing the 
following six parts: (a) Definitions; (b) QAPI program design and 
scope; (c) Governance and leadership; (d) Program activities; (e) 
Performance improvement projects; and (f) Program data collection and 
analysis.
Sec.  485.641(a) Definitions
    We have proposed at paragraph Sec.  485.641(a) to provide 
definitions for the following terms: ``adverse event,'' ``error,'' and 
``medical error.'' We propose the same definition of ``adverse event'' 
currently found at Sec.  482.70. We are also proposing the definitions 
of ``error'' and ``medical error'' that are largely drawn from the IOM. 
We believe that most CAHs are aware of these terms, but we are 
proposing to provide the following standard definitions:
     ``Adverse event'' means an untoward, undesirable, and 
usually unanticipated event that causes death or serious injury or the 
risk thereof;
     ``Error'' means the failure of a planned action to be 
completed as intended or the use of a wrong plan to achieve an aim. 
Errors can include problems in practice, products, procedures, and 
systems; and
     ``Medical error'' means an error that occurs in the 
delivery of healthcare services.
Sec.  485.641(b) QAPI Program Design and Scope
    At proposed Sec.  485.641(b)(1) ``Program design and scope,'' we 
would require the CAH to have a QAPI program that would be appropriate 
for the complexity of the CAH's organization and services. This means 
that every CAH would utilize performance improvement measures that 
would be sensitive to that CAH's specific context. The QAPI program 
would be designed to monitor and evaluate performance of all services 
and programs of the CAH. In proposed paragraphs (b)(2) and (3), we 
would require the CAH to design a QAPI program that would be on-going 
and comprehensive, involving all departments of the CAH and services, 
including those services furnished under contract or arrangement. In 
proposed paragraph (b)(4), we would require CAHs to use objective 
measures in their QAPI program to evaluate its organizational 
processes, functions, and services. We also propose at paragraph (b)(5) 
that the CAH's QAPI program would address outcome indicators related to 
improved health outcomes and the prevention and reduction of medical 
errors, adverse events, hospital-acquired conditions, and transitions 
of care, including readmissions.
Sec.  485.641(c) Governance and Leadership
    We propose at Sec.  485.641(c) that the CAH's governing body or 
responsible individual be ultimately responsible for the CAH's QAPI 
program and at paragraph (c)(1) be responsible and accountable for 
ensuring that clear expectations for safety are communicated, 
implemented, and followed throughout the CAH. At Sec.  485.641(c)(2), 
we propose that the QAPI efforts address priorities for improving 
quality of care and patient safety. At paragraph (c)(3), all 
improvement actions would be evaluated and modified as needed by the 
designated CAH staff. We propose at paragraph (c)(4) that the governing 
body or responsible individual exercising management authority over the 
CAH ensure that adequate resources are allocated for measuring, 
assessing, improving, and sustaining the CAH's performance and reducing 
risk to patients. Once this rule is finalized, CMS will develop the 
appropriate subregulatory guidance so that surveyors will be able to 
determine what constitutes ``adequate resources.'' In proposed 
paragraphs (c)(5) and (6), we would require the governing body or 
responsible individual to be responsible for annually determining the 
number of distinct quality improvement projects the CAH would conduct. 
They would also be responsible for the CAH developing and implementing 
policies and procedures for QAPI that address what actions the CAH 
staff should take to prevent and report unsafe patient care practices, 
medical errors, and adverse events.
485.641(d) Program Activities
    We propose at Sec.  485.641(d), ``Program activities'', that for 
each of the areas discussed in paragraphs (b) and (c) of this section, 
the CAH would have to:
     Focus on measures related to improved health outcomes that 
are shown to be predictive of desired patient outcomes;
     Use the measures to analyze and track its performance; and
     Set priorities for performance improvement, considering 
either high-volume, high-risk services, or problem-prone areas.
    Analyses would be expected to be conducted at regular intervals to 
enable the CAH to identify areas or opportunities for improvement.
Sec.  485.641(e) Performance Improvement Projects
    We propose at Sec.  485.641(e), ``Performance Improvement 
Projects,'' that a CAH would have to conduct distinct performance 
improvement projects that are proportional to the scope and complexity 
of the CAH's services and operations. We also propose that the CAH 
would be required to maintain and demonstrate written or electronic 
evidence and documentation of its QAPI projects.
Sec.  485.641(f) Program Data Collection and Analysis
    Collecting and analyzing data is fundamental to quality 
improvement. The CAH should be able to demonstrate that the data it 
collects measure the quality of patient care. Therefore, we propose at 
Sec.  485.641(f)(1) and (2) that a CAH's QAPI program be required to 
incorporate quality indicator data including patient care data, quality 
measures data, and other relevant data. The CAH must use the data 
collected to monitor the effectiveness and safety of services provided 
and quality of care. A CAH must also identify opportunities for 
improvement and changes that will lead to improvement. Since 2011, the 
Medicare Beneficiary Quality Improvement Project (MBQIP), supported by 
the Federal Office of Rural Health Policy's Medicare Rural Hospital 
Flexibility Grant Program, has encouraged CAHs to collect and report 
quality data and has provided a means for CAHs to monitor the quality 
of care they provide and identify opportunities for improvement. To the 
extent that the MBQIP meets the proposed requirements for incorporating 
quality indicator data in its QAPI program, CAH adherence to the 
requirements of MBQIP is one such way that the CAH's QAPI program data 
collection

[[Page 39466]]

requirements can be satisfied. MBQIP uses a rural-relevant subset of 
data based on Medicare quality reporting program. Current MBQIP 
measures and information resources for data analysis and performance 
improvement can be found at https://www.ruralcenter.org/tasc/mbqip. We 
propose at paragraph (f)(3) that the CAH's governing body or 
responsible individual must approve the frequency and the details of 
data collection.
6. Technical Corrections
    We propose to correct a typographical error in the regulations at 
Sec.  485.645 by correcting the word ``provided'' to ``provide'' in the 
lead first sentence.

III. Collection of Information Requirements

    Under the Paperwork Reduction Act of 1995, we are required to 
provide 60-day notice in the Federal Register and solicit public 
comment before a collection of information requirement is submitted to 
the Office of Management and Budget (OMB) for review and approval. In 
order to fairly evaluate whether an information collection should be 
approved by OMB, section 3506(c)(2)(A) of the Paperwork Reduction Act 
of 1995 requires that we solicit comment on the following issues:
     The need for the information collection and its usefulness 
in carrying out the proper functions of our agency.
     The accuracy of our estimate of the information collection 
burden.
     The quality, utility, and clarity of the information to be 
collected.
     Recommendations to minimize the information collection 
burden on the affected public, including automated collection 
techniques.
    We are soliciting public comment on each of these issues for the 
following sections of this document that contain information collection 
requirements (ICRs).

A. ICRs Regarding Patient's Rights (Sec.  482.13)

    Proposed Sec.  482.13(i) would establish explicit requirements that 
a hospital not discriminate against a patient or applicant for services 
on the basis of race, color, religion, national origin, sex (including 
gender identity), sexual orientation, or disability and that the 
hospital establish and implement a written policy prohibiting 
discrimination against a patient or applicant for services on the basis 
of race, color, religion, national origin, sex (including gender 
identity), sexual orientation, or disability. We propose to further 
require that each patient or applicant for services, and/or support 
person, where appropriate, is informed of the right to be free from 
discrimination against them on any of the aforementioned bases when he 
or she is informed of his or her other rights under Sec.  482.13(a)(1). 
The burden associated with this requirement is the time and effort 
necessary for a hospital to develop written policies and procedures 
with respect to the rights of patients to be free from discrimination 
and to distribute that information to the patients.
    We believe that most hospitals already have established policies 
and procedures regarding the rights of patients to be free from 
discrimination. Additionally, we believe that most hospitals include 
the anti-discrimination policies and procedures as part of their 
standard notice of patient rights. The burden associated with the 
notice of patient rights is currently approved under OMB control number 
0938-0328.
    We will be submitting a revision of the currently approved 
information collection request to account for the following burden.
    We estimate that 4,900 hospitals must comply with the 
aforementioned information collection requirements. We further estimate 
that it will take each hospital 0.25 hours to comply with the 
requirement in proposed Sec.  482.13(i). The total estimated annual 
burden associated with this requirement is 1,225 hours (4,900 hospitals 
x .25) at a cost of $83,300 (1,225 hours x $68 for a nurse's hourly 
salary).

B. ICRs Regarding Quality Assessment and Performance Improvement (Sec.  
482.21)

    The existing QAPI CoP requires each hospital to:
     Develop, implement, maintain, and evaluate its' own QAPI 
program;
     Establish a QAPI program that reflects the complexity of 
its organization and services;
     Establish a QAPI program that involves all hospital 
departments and services and focuses on improving health outcomes and 
preventing and reducing medical errors; and
     Maintain and demonstrate evidence of its QAPI program for 
review by CMS.
    We are proposing a minor change to the program data requirements at 
Sec.  482.21(b). Currently, we require that hospitals incorporate 
quality indicator data including patient care data, and other relevant 
data, for example, information submitted to, or received from, the 
hospital's Quality Improvement Organization.
    We propose to update this requirement to reflect and capitalize on 
the wealth of important quality data available to hospitals through 
several quality data reporting programs. Specifically, we propose to 
require that the hospital QAPI program must incorporate quality 
indicator data including patient care data, and other relevant data 
such as data submitted to or received from quality reporting and 
quality performance programs, including, but not limited to, data 
related to hospital readmissions and hospital-acquired conditions. 
Hospitals are likely to be participating in one or more existing 
quality reporting and quality performance programs such as the Hospital 
Inpatient Quality Reporting program, the Hospital Value-Based 
Purchasing Program, the Hospital Acquired Condition Reduction program, 
Hospital Compare, the Medicare and Medicaid Electronic Health Record 
Incentive Programs, the Hospital Outpatient Quality Reporting program, 
and the Joint Commission's Quality CheckTM. Since a hospital 
is already collecting and reporting quality measures data for these 
programs, we do not believe that this proposed change would increase 
the information collection burden for hospitals.

C. ICRs Regarding Nursing Services (Sec.  482.23)

    We propose to revise Sec.  482.23(b), which currently states 
``There must be supervisory and staff personnel for each department or 
nursing unit to ensure, when needed, the immediate availability of a 
registered nurse for bedside care of any patient,'' to delete the term 
``bedside,'' which might imply only inpatient services to some readers. 
The nursing service must ensure that patient needs are met by ongoing 
assessments of patients' needs and must provide nursing staff to meet 
those needs regardless of whether the patient is an inpatient or an 
outpatient. We propose to allow a hospital to establish a policy that 
would specify which, if any, outpatient units would not be required to 
have an RN physically present as well as the alternative staffing plans 
that would be established under such a policy. We would require such a 
policy to take into account factors such as the services delivered; the 
acuity of patients typically served by the facility; and the 
established standards of practice for such services. In addition, we 
would propose that the policy must be approved by the medical staff and 
be reviewed annually. TJC-accredited hospitals are already allowed this 
flexibility in nursing services policy. Those hospitals that use their 
TJC accreditation for deeming purposes are required to have ``Leaders 
[who] provide

[[Page 39467]]

for a sufficient number and mix of individuals to support safe, quality 
care, treatment, and services. (Note: The number and mix of individuals 
is appropriate to the scope and complexity of the services offered.)'' 
(CAMH, Standard LD.03.06.01, EP 3). Further, TJC-accredited hospitals 
also require the ``nurse executive, registered nurses, and other 
designated nursing staff [to] write: Nursing policies and procedures.'' 
(CAMH, Standard NR.02.02.01, EP 3). Therefore, we expect that TJC-
accredited hospitals already have the policies and procedures that 
satisfy the requirements in this subsection, including medical staff 
approval and annual review. If there are any tasks that a TJC-
accredited hospital may need to complete to satisfy the requirement for 
this subsection, we expect that the burden imposed would be negligible. 
Thus, for the approximately 3,900 TJC-accredited hospitals the 
development of policies and procedures that would satisfy this 
subsection would constitute a usual and customary business practice as 
defined at 5 CFR 1320.3(b)(2).
    The non TJC-accredited hospitals would need to review their current 
policies and procedures and update them so that they comply with the 
requirements in proposed Sec.  482.23(b). This would be a one-time 
burden on the hospital. We estimate that this would require a 
physician, a nurse, and one administrator. Physicians earn an average 
hourly salary of $187, administrators earn an average hourly salary of 
$174, and registered nurses earn an hourly salary of $68 (2014 BLS Wage 
Data by Area and Occupation at http://www.bls.gov/bls/blswage.htm, 
adjusted upward by 100 percent to include fringe benefits and overhead 
costs). We estimate that each person would spend three hours on this 
activity for a total of nine hours at a cost of $1,287 (3 hours x $68 
for a nurse's hourly salary + 3 hours x $174 for an administrator's 
hourly salary + 3 hours x $187 for a physician's hourly salary = 
$1,287). For all 1,000 non-TJC-accredited hospitals to comply with this 
requirement, we estimate a total one-time cost of approximately $1.3 
million (1,000 hospitals x $1,287). We estimate that annual review of 
the policies and procedures would take one hour for each individual 
included for a total annual cost of $429,000 ((1 hour x $68 for a 
nurse's hourly salary + 1 hour x $174 for an administrator's hourly 
salary + 1 hour x $187 for a physician's hourly salary) x 1,000 
hospitals). The burden associated with these requirements is captured 
in an information collection request (0938-NEW).

D. ICRs Regarding Medical Record Services (Sec.  482.24)

    We are proposing to make changes to several of the provisions in 
this CoP so that the requirements are clearer regarding the 
distinctions between a patient's inpatient and outpatient status and 
the subtle differences between certain aspects of medical record 
documentation related to each status.
    The current requirements at Sec.  482.24(c) state that the content 
of the medical record must contain ``information to justify admission 
and continued hospitalization, support the diagnosis, and describe the 
patient's progress and response to medications and services.'' While we 
believe that these terms are appropriate for inpatients, they do not 
fully capture the specific documentation necessary for outpatients. 
Therefore, we propose to revise the current regulatory language to 
require that the content of the medical record must contain 
``information to justify all admissions and continued hospitalizations, 
support the diagnoses, describe the patient's progress and responses to 
medications and services, and document all inpatient and outpatient 
visits to reflect the scope of all services received by the patient.''
    Similarly, we propose to revise Sec.  482.24(c)(4)(ii) from the 
current requirement for documentation of ``admitting diagnosis'' to 
include ``all inpatient and outpatient diagnoses,'' which would include 
any admitting diagnoses. Within this same standard, we are proposing to 
update several terms to reflect more current terminology and standards 
of practice. Therefore, at Sec.  482.24(c)(4)(iv), we propose to 
require that the content of the record include ``documentation of 
complications, hospital-acquired conditions, healthcare-associated 
infections, and unfavorable reactions to drugs and anesthesia.'' We 
also propose changes to Sec.  482.24(c)(4)(vi) to add ``progress 
notes'' to the required documentation of ``practitioners' orders'' to 
emphasize the necessary documentation for both inpatients and 
outpatients. And we propose to add the phrase ``to reflect the scope of 
all services received by the patient.''
    Continuing under this standard detailing the contents of the 
medical record, we propose to make revisions to the final two 
provisions under this standard. We propose to change Sec.  
482.24(c)(4)(vii) to require that all patient medical records must 
document discharge and transfer summaries with outcomes of all 
hospitalizations, disposition of cases, and provisions for follow-up 
care for all inpatient and outpatient visits to reflect the scope of 
all services received by the patient. We believe that these changes 
would clarify the importance of discharge summaries for patients being 
discharged home as well as the importance of transfer summaries for 
patients being transferred to post-acute care facilities such as 
nursing homes or inpatient rehabilitation facilities. In addition, we 
recognize the distinction between the services received by inpatient 
and those received by outpatients by proposing to include language that 
distinguishes between the inpatient and the outpatient experiences.
    Finally, we emphasize the distinctions between discharges and 
transfers as well as between inpatients and outpatients by proposing to 
revise Sec.  482.24(c)(4)(viii) so that the content of the medical 
record would contain ``final diagnoses with completion of medical 
records within 30 days following all inpatient stays and within 7 days 
following all outpatient visits.''
    We believe that hospitals would need to review their current 
policies and procedures and update them so that they comply with the 
requirements in proposed Sec.  482.24(c). This would be a one-time 
burden on the hospital. We estimate that this would require a 
physician, a nurse, and one administrator. Physicians earn an average 
hourly salary of $187, administrators earn an average hourly salary of 
$174, and registered nurses earn an hourly salary of $68 (2014 BLS Wage 
Data by Area and Occupation at http://www.bls.gov/bls/blswage.htm, 
adjusted upward by 100 percent to include fringe benefits and overhead 
costs). We estimate that each person would spend three hours on this 
activity for a total of nine hours at a cost of $1,287 (3 hours x $68 
for a nurse's hourly salary + 3 hours x $174 for an administrator's 
hourly salary + 3 hours x $187 for a physician's hourly salary = 
$1,287). For all 4,900 hospitals to comply with this requirement, we 
estimate a total one-time cost of approximately $6.3 million (4,900 
hospitals x $1,287). The burden associated with these requirements is 
captured in an information collection request (0938-NEW).

E. ICRs Regarding Provision of Services (Sec.  485.635)

    Section 485.635(g) would require that a CAH not discriminate 
against patients or applicants for service on the basis of race, color, 
religion, national origin, sex (including gender identity), sexual 
orientation, or disability and that the

[[Page 39468]]

CAH establish and implement a written policy prohibiting discrimination 
against patients or applicants for service on the basis of race, color, 
religion, national origin, sex (including gender identity), sexual 
orientation, or disability. We propose to further require that each 
patient, and/or support person, where appropriate, be informed, in a 
language he or she can understand, of the right to be free from 
discrimination against them on any of the aforementioned bases (HHS OCR 
Compliance Review Initiative: ``Advancing Effective Communication In 
Critical Access Hospitals'' April 2013 http://www.hhs.gov/sites/default/files/ocr/civilrights/activities/agreements/compliancereview_initiative.pdf). The burden associated with this 
requirement is the time and effort necessary for a CAH to develop 
written policies and procedures with respect to the rights of patients 
to be free from discrimination and to distribute that information to 
the patients.
    We estimate that 1,328 CAHs must comply with the aforementioned 
information collection requirements. We further estimate that it will 
take each CAH 0.25 hours to comply with the requirement in proposed 
Sec.  485.635(g). The total estimated annual burden associated with 
this requirement is 332 hours (1,328 hospitals x .25) at a cost of 
$22,576 (332 hours x $68 for a nurse's hourly salary).

F. ICRs Regarding Condition of Participation: Quality Assessment and 
Performance Improvement Program (Sec.  485.641)

    Proposed Sec.  485.641 would require CAHs to develop, implement, 
and maintain an effective, ongoing, CAH-wide, data-driven QAPI program. 
The QAPI program must be appropriate for the complexity of the CAH's 
organization and the services it provides. In addition, CAHs must 
comply with all of the requirements set forth in proposed Sec.  
485.641(b) through (g).
    The current CAH CoPs at Sec.  485.641 require CAHs to have an 
effective quality assurance program to evaluate the quality and 
appropriateness of the diagnosis and treatment furnished in the CAH and 
the treatment outcomes. CAHs are currently required to conduct a 
periodic evaluation and quality assurance review (42 CFR 485.641(a)). 
They are required to evaluate its total program (for example, policies 
and procedures and services provided) annually. The evaluation must 
include reviewing the utilization of the CAH services using a 
representative sample of both active and closed clinical records, as 
well as reviewing the facility's health care policies. The purpose of 
the evaluation is to determine whether the utilization of services was 
appropriate, the established policies were followed, and if any changes 
are needed. The CAH's staff considers the findings of the evaluation 
and takes corrective action, if necessary (42 CFR 485.641(b)(5)(i)). 
Thus, we believe that all of the CAHs are performing the activities 
that are required to comply with many of the requirements in proposed 
Sec.  485.641. However, we also believe that the CAHs would need to 
review their current quality assurance program and revise and, if 
needed, develop new provisions to ensure compliance with the proposed 
requirements.
    TJC accreditation standards for performance improvement (PI) 
already require that CAHs collect, compile, and analyze to monitor 
their performance (TJC Accreditation Standard PI.01.01.01 and 
PI.02.01.01). These TJC-accredited CAHs must also improve their 
performance on an ongoing basis (TJC Accreditation Standard 
PI.03.01.01). Thus, we believe that the 324 TJC-accredited CAHs are 
already in compliance with the requirements in proposed Sec.  485.641. 
However, each CAH would need to review their current practice to ensure 
that they are in compliance with all of the requirements under Sec.  
485.641. Any additional tasks those CAHs would need to comply with the 
requirements for this section should result in a negligible burden, if 
any. Thus, the burden for these activities for the 324 TJC-accredited 
CAHs will be excluded from the burden analysis because they constitute 
usual and customary business practices in accordance with 5 CFR 
1320.3(b)(2).
    The 1,004 non TJC-accredited CAHs would need to review their 
current programs and then revise and develop new provisions of their 
programs to ensure compliance with the proposed requirements. We 
believe that the CAH QAPI leadership (consisting of a physician, and/or 
administrator, mid-level practitioner, and a nurse) would need to have 
at least two meetings to ensure that the current annual evaluation and 
quality assurance (QA) program is transitioned into the proposed QAPI 
format. The first meeting would be to discuss the current quality 
assurance program and what needs to be included based on the new 
proposed QAPI provision. The second meeting would be to discuss 
strategies to update the current policies, and then to discuss the 
process for incorporating those changes. We believe that these meeting 
would take approximately two hours each. We would estimate that the 
physician would have a limited amount of time, approximately 1 hour to 
devote to the QAPI activities. Additionally, we estimate these 
activities would require 4 hours of an administrator's time, 4 hours of 
a mid-level practitioner's time, 14 hours of a nurse's time, and 2 
hours of a clerical staff person's time for a total of 25 burden hours. 
We believe that the CAH's QAPI leadership (formerly the periodic 
evaluation and quality assurance leadership) would need to meet 
periodically to review and discuss the changes that would need to be 
made to their program. We also believe that a nurse would likely spend 
more time developing the program with the mid-level practitioner. The 
physician would likely review and approve the program. The clerical 
staff member would probably assist with the program's development and 
ensure that the program was disseminated to all of the necessary 
parties in the CAH.
    Since a CAH is currently required to evaluate its total program and 
evaluate the quality and appropriateness of the services furnished, 
take appropriate action to address deficiencies and document such 
activities, we believe that the resources utilized on the current QA 
program would be utilized for the ongoing QAPI activities under 
proposed Sec.  485.641(b)-(f). Thus, we estimate that for each CAH to 
comply with the requirements in this section it would require 25 burden 
hours (1 for a physician + 4 for an administrator + 4 for a mid-level 
practitioner + 14 for a nurse + 2 for a clerical staff person = 25 
burden hours) at a cost of $1,975 ($187 for a physician + $392 for an 
administrator (4 hours x $98) + $380 for a mid-level practitioner (4 
hours x $95) + $952 (14 hours x $68 for a nurse) + $64 for a clerical 
staff person (2 hours x $32). Therefore, for all 1,004 non TJC-deemed 
CAHs to comply with these requirements, it would require 25,100 burden 
hours (25 x 1,004 non TJC-deemed CAHs) at a cost of approximately $2 
million ($1,975 for each CAH x 1,004 non TJC-deemed CAHs). We note here 
the difference in hourly salary between a hospital CEO/administrator 
($174) and a CAH CEO/administrator ($98). The burden associated with 
these requirements is captured in an information collection request 
(0938-NEW).
    If you comment on these information collection and recordkeeping 
requirements, please do either of the following:
    1. Submit your comments electronically as specified in the 
ADDRESSES section of this proposed rule; or

[[Page 39469]]

    2. Submit your comments to the Office of Information and Regulatory 
Affairs, Office of Management and Budget, Attention: CMS Desk Officer, 
CMS-3295-P, Fax: (202) 395-6974; or Email: [email protected].

IV. Response to Comments

    Because of the large number of public comments we normally receive 
on Federal Register documents, we are not able to acknowledge or 
respond to them individually. We will consider all comments we receive 
by the date and time specified in the DATES section of this preamble, 
and, when we proceed with a subsequent document, we will respond to the 
comments in the preamble to that document.

V. Regulatory Impact Analysis

A. Statement of Need

    CMS is aware, through conversations with stakeholders and federal 
partners, and as a result of internal evaluation and research, of 
outstanding concerns about CoPs for hospitals and CAHs, despite recent 
revisions. We believe that the proposed revisions would alleviate many 
of those concerns. In addition, modernization of the requirements would 
cumulatively result in improved quality of care and improved outcomes 
for all hospital and CAH patients. We believe that benefits would 
include reduced readmissions, reduced incidence of hospital-acquired 
conditions (including healthcare-associated infections), improved use 
of antibiotics at reduced costs (including the potential for reduced 
antibiotic resistance), and improved patient and workforce protections.
    These benefits are consistent with current HHS Quality Initiatives, 
including efforts to prevent HAIs; the national action plan for adverse 
drug event (ADE) prevention; the national strategy for Combating 
Antibiotic-Resistant Bacteria (CARB); and the Department's National 
Quality Strategy (http://www.ahrq.gov/workingforquality/index.html). 
Principles of the National Quality Strategy supported by this proposed 
rule include eliminating disparities in care; improving quality; 
promoting consistent national standards while maintaining support for 
local, community, and State-level activities that are responsive to 
local circumstances; care coordination; and providing patients, 
providers, and payers with the clear information they need to make 
choices that are right for them (http://www.ahrq.gov/workingforquality/nqs/principles.htm). Our proposal to prohibit discrimination would 
support eliminating disparities in care, and we believe our proposals 
about QAPI and infection prevention and control and antibiotic 
stewardship programs will improve quality and promote consistent 
national standards. Our proposals regarding the term licensed 
independent practitioners and establishing policies and protocols for 
when the presence of an RN is needed will support care coordination and 
quality of care. In sum, we believe our proposed changes are necessary, 
timely, and beneficial.

B. Overall Impact

    We have examined the impacts of this rule as required by Executive 
Order 12866 on Regulatory Planning and Review (September 30, 1993), 
Executive Order 13563 on Improving Regulation and Regulatory Review 
(January 18, 2011), the Regulatory Flexibility Act (RFA) (September 19, 
1980, Pub. L. 96-354), section 1102(b) of the Social Security Act, 
section 202 of the Unfunded Mandates Reform Act of 1995 (March 22, 
1995; Pub. L. 104-4), Executive Order 13132 on Federalism (August 4, 
1999) and the Congressional Review Act (5 U.S.C. 804(2)).
    Executive Orders 12866 and 13563 direct agencies to assess all 
costs and benefits of available regulatory alternatives and, if 
regulation is necessary, to select regulatory approaches that maximize 
net benefits (including potential economic, environmental, public 
health and safety effects, distributive impacts, and equity). Section 
3(f) of Executive Order 12866 defines a ``significant regulatory 
action'' as an action that is likely to result in a rule: (1) Having an 
annual effect on the economy of $100 million or more in any 1 year, or 
adversely and materially affecting a sector of the economy, 
productivity, competition, jobs, the environment, public health or 
safety, or state, local or tribal governments or communities (also 
referred to as ``economically significant''); (2) creating a serious 
inconsistency or otherwise interfering with an action taken or planned 
by another agency; (3) materially altering the budgetary impacts of 
entitlement grants, user fees, or loan programs or the rights and 
obligations of recipients thereof; or (4) raising novel legal or policy 
issues arising out of legal mandates, the President's priorities, or 
the principles set forth in the Executive Order.
    A regulatory impact analysis (RIA) must be prepared for major rules 
with economically significant effects ($100 million or more in any 1 
year). We estimate that this rulemaking is ``economically significant'' 
as measured by the $100 million threshold, and hence also a major rule 
under the Congressional Review Act. Accordingly, we have prepared a 
Regulatory Impact Analysis (RIA) that, to the best of our ability, 
presents the costs and benefits of the rulemaking.
    The Congressional Review Act, 5 U.S.C. 801 et seq., as added by the 
Small Business Regulatory Enforcement Fairness Act of 1996, generally 
provides that before a rule may take effect, the agency promulgating 
the rule must submit a rule report, which includes a copy of the rule, 
to each chamber of the Congress and to the Comptroller General of the 
United States. HHS will submit a report containing this rule and other 
required information to the U.S. Senate, the U.S. House of 
Representatives, and the Comptroller General of the United States prior 
to publication of the rule in the Federal Register.
    This proposed rule would create ongoing cost savings to hospitals 
and CAHs in many areas. We believe these savings would largely, but not 
entirely, offset any costs to hospitals and CAHs that would be incurred 
by other changes we have proposed in this rule. The financial savings 
and costs are summarized in the table that follows. We welcome public 
comments on all of our burden assumptions and estimates. As discussed 
later in this regulatory impact analysis, substantial uncertainty 
surrounds these estimates and we especially solicit comments on either 
our estimates of likely savings/costs or the specific regulatory 
changes that drive these estimates.

                              Table 1--Section-by-Section Economic Impact Estimates
----------------------------------------------------------------------------------------------------------------
                                                                  Number of
                Issue                        Frequency            affected      Likely savings (+) or costs (-)
                                                                  entities          to society ($ millions)
----------------------------------------------------------------------------------------------------------------
Hospitals...........................  .......................           4,900
     Patients' rights (ICR).  One-time...............           4,900  0.083(-)

[[Page 39470]]

 
     Nursing services (ICR).  Recurring Annually.....           1,000  1.3(-)
     Nursing services (ICR).  One-time...............           1,000  0.429(-)
     Medical record services  One-time...............           4,900  6.3(-)
     (ICR).                                                             4,900  20(-)
     Infection Prevention &   One-time...............           2,940  >693 to 1,193(-)
     Control and Antibiotic           Recurring annually.....  ..............  .................................
     Stewardship (RIA).               Recurring Annually.....           2,940  1,020(+)
CAHs................................  .......................           1,328
     Provision of services    One-time...............           1,328  0.023(-)
     (ICR).
     QAPI (ICR).............  Recurring annually.....           1,004  2(-)
     Food and dietary (RIA).  Recurring annually.....             650  Not estimated
     Infection Prevention &   One-time...............           1,328  5(-)
     Control and Antibiotic           Recurring Annually.....           1,328  45(-)
     Stewardship (RIA).               Recurring Annually.....           1,328  37(+)
    Sub-Total Savings...............  .......................  ..............  1,057(+)
    Sub-Total Costs.................  .......................  ..............  >773 to 1,273(-)
    Overall Savings Net of Costs....  .......................  ..............  <-216 to 284(+)
----------------------------------------------------------------------------------------------------------------
Note: This table includes entries only for those proposed reforms that we believe would have a measurable
  economic effect; includes estimates from ICRs and RIAs.

C. Anticipated Effects

1. Effects on Hospitals and CAHs
    There are about 4,900 hospitals and 1,300 CAHs that are certified 
by Medicare and/or Medicaid. We use these figures to estimate the 
potential impacts of this proposed rule. In the estimates that were 
shown in the Collection of Information Requirements section of the 
preamble and in the Regulatory Impact Analysis here, we estimate hourly 
costs as follows. Using data from the Bureau of Labor Statistics, we 
have estimates of the national average hourly wage for all medical 
professions (for an explanation of these data see http://www.bls.gov/news.release/archives/ocwage_03252015.htm). These data do not include 
the employer share of fringe benefits such as health insurance and 
retirement plans, the employer share of OASDI taxes, or the overhead 
costs to employers for rent, utilities, electronic equipment, 
furniture, human resources staff, and other expenses that are incurred 
for employment. The HHS-wide practice is to account for all such costs 
by adding 100 percent to the hourly cost rate, doubling it for purposes 
of estimating the costs of regulations. We use the following average 
hourly wages for registered dietitians and nutrition professionals, 
registered nurses, advanced practice registered nurses, physician 
assistants, pharmacists, network data analysts, hospital CEO/
administrators, CAH CEO/administrators, clerical staff workers, and 
physicians respectively: $56, $68, $95, $95, $113, $70, $174, $98, $30, 
and $187 (2014 BLS Wage Data by Area and Occupation, including both 
hourly wages and fringe benefits, at http://www.bls.gov/bls/blswage.htm 
and http://www.bls.gov/ncs/ect/).
Licensed Independent Practitioners (Patients' Rights Sec.  482.13)
    We propose to delete the modifying term ``independent'' from the 
CoP at Sec.  482.13(e)(5), as well as at Sec.  482.13(e)(8)(ii). 
Therefore, we are proposing that Sec.  482.13(e)(5) would now state 
that the use of restraint or seclusion must be in accordance with the 
order of a physician or other licensed practitioner who is responsible 
for the care of the patient and authorized to order restraint or 
seclusion by hospital policy in accordance with State law. We are 
proposing that Sec.  482.13(e)(8)(ii) would now state that after 24 
hours, before writing a new order for the use of restraint or seclusion 
for the management of violent or self-destructive behavior, a physician 
or other licensed practitioner who is responsible for the care of the 
patient and authorized to order restraint or seclusion by hospital 
policy in accordance with State law must see and assess the patient. 
While we believe that hospitals might be able to achieve some costs 
savings through these changes (by having additional licensed 
practitioners such as PAs allowed to write restraint and seclusion 
orders and thus relieve some of the burden from physicians), we do not 
have a reliable means of quantifying these possible cost savings. We 
seek comment as to whether the assumption of cost savings is reasonable 
and welcome any data that may help inform the costs and benefits of 
this provision.
Infection Control and Antibiotic Stewardship (Infection Prevention and 
Control Sec.  482.42)
    We are revising the hospital requirements at 42 CFR 482.42, 
``Infection control,'' which currently require hospitals to provide a 
sanitary environment to avoid sources and transmission of infections 
and communicable diseases. Hospitals are also currently required to 
have a designated infection control officer, or officers, who are 
required to develop a system to identify, report, investigate and 
control infections and communicable diseases of patients and personnel. 
The hospital's CEO, medical staff, and director of nursing services are 
charged with ensuring that the problems identified by the infection 
control officer or officers are addressed in hospital training programs 
and their QAPI program. The CEO, medical staff, and director of nursing 
services are also responsible for the implementation of successful 
corrective action plans in affected problem areas.
    We are proposing a change to the title of this CoP to ``Infection 
prevention and control and antibiotic stewardship programs.'' By adding 
the word ``prevention'' to the CoP name, our intent is to promote 
larger, cultural changes in hospitals such that prevention initiatives 
are recognized on balance with their current, traditional control 
efforts. And by adding ``antibiotic stewardship'' to the title, we 
would emphasize the important role that a hospital could play in 
improving patient care and safety and combatting antimicrobial 
resistance through implementation of a robust stewardship

[[Page 39471]]

program that follows nationally recognized guidelines for appropriate 
antibiotic use. Along with these changes, we propose to change the 
introductory paragraph to require that a hospital's infection 
prevention and control and antibiotic stewardship programs be active 
and hospital-wide for the surveillance, prevention, and control of HAIs 
and other infectious diseases, and for the optimization of antibiotic 
use through stewardship. We would also require that a program 
demonstrate adherence to nationally recognized infection prevention and 
control guidelines for reducing the transmission of infections, as well 
as best practices for improving antibiotic use, for reducing the 
development and transmission of HAIs and antibiotic-resistant 
organisms. While these particular changes are new to the regulatory 
text, it is worth noting that these requirements, with the exception of 
the new requirement for an antibiotic stewardship program, have been 
present in the Interpretive Guidelines (IGs) for hospitals since 2008 
(See A0747 at Appendix A--Survey Protocol, Regulations and Interpretive 
Guidelines for Hospitals, http://cms.gov/manuals/Downloads/som107ap_a_hospitals.pdf).
Infection Prevention and Control
    Specifically, at Sec.  482.42(a)(1), we propose to require the 
hospital to appoint an infection preventionist(s)/infection control 
professional(s). Within this proposed change we are deleting the 
outdated term, ``infection control officer,'' and replacing it with the 
more current and accurate terms, ``infection preventionist/infection 
control professional.'' CDC has defined ``infection control 
professional (ICP)'' as ``a person whose primary training is in either 
nursing, medical technology, microbiology, or epidemiology and who has 
acquired specialized training in infection control.'' In designating 
infection preventionists/ICPs, hospitals should ensure that the 
individuals so designated are qualified through education, training, 
experience, or certification (such as that offered by the CBIC, or by 
the specialty boards in adult or pediatric infectious diseases offered 
for physicians by the American Board of Internal Medicine (for 
internists) and the American Board of Pediatrics (for pediatricians). 
Since this requirement has been present in the IGs since 2008, we 
believe that hospitals have been aware of CMS' expectations for the 
qualifications of infection control officers. The Joint Commission has 
a similar requirement (TJC Accreditation Standard IC.01.01.01) and so 
we believe that hospitals accredited by TJC (over 75 percent of all 
hospitals (http://www.jointcommission.org/facts_about_hospital_accreditation/)) would already be in compliance, 
or near compliance, with this requirement. The Joint Commission 
requires that a hospital identify the individual(s) responsible for its 
infection prevention and control program, including the individual(s) 
with clinical authority over the infection prevention and control 
program. For the 25 percent of hospitals not accredited by TJC, we are 
calculating the burden for these hospitals to come into compliance with 
this requirement.
    Based on our experience with hospitals, we believe that most ICPs 
would be registered nurses with experience, education, and training in 
infection control. Twenty-five percent of hospitals not accredited by 
TJC is 1,225 hospitals. Each hospital would be required to employ at 
least one ICP fulltime (52 weeks x 40 hours = 2,080 hours) at $68 per 
hour. The cost per hospital would be $141,440 annually (2,080 hours x 
$68 = $141,440). The total cost for all non-TJC-accredited hospitals 
would be approximately $173 million annually (1,225 x $141,440 = 
173,264,000).
    We believe that the other proposed requirements in this section of 
the CoP would constitute additional burden. Each hospital would be 
required to review their current infection control program and compare 
it to the new requirements contained in this section. After performing 
this comparison, each hospital would be required to revise their 
program so that it complied with the requirements in this section. 
Based on our experience with hospitals, we believe that a physician and 
a nurse on the infection control team would conduct this review and 
revision of the program. We believe both the physician and the nurse 
would spend 16 hours each for a total of 32 hours. Physicians earn an 
average of $187 an hour. Nurses earn an average salary of $68 an hour. 
Thus, to ensure their infection control program complied with the 
requirements in this section, we estimate that each hospital would 
require 32 burden hours (16 hours for a physician and 16 hours for a 
nurse = 32 burden hours) at a cost of $4,080 ($2,992 ($187 an hour for 
a physician x 16 burden hours) + $1,088 ($68 an hour for a nurse x 16 
burden hours)). Based on the estimate, for all 4,900 hospitals, 
complying with this requirement would require 156,800 burden hours (32 
hours for each hospital x 4,900 hospitals = 156,800 burden hours) at a 
one-time cost of approximately $20 million ($4,080 for each hospital x 
4,900 hospitals = $19,992,000 estimated cost).
Antibiotic Stewardship
    Similarly at Sec.  482.42(b), we believe that the proposed 
requirements for a hospital to have an active antibiotic stewardship 
program, and for its organization and policies, would constitute 
additional regulatory burden, as will be discussed in more detail 
below. However, we believe that the estimated costs of an AS program 
would be greatly offset by the savings that a hospital would achieve 
through such a program. The most obvious savings would be from 
decreased inappropriate antibiotic use leading to overall decreased 
drug costs for a hospital. Our review of the literature showed 
significant savings in this area, with annual savings proportional to 
bed size of the hospital or hospital unit. Reported annual savings 
ranged from $27,917 (Canadian dollars) for a 12-bed medical/surgical 
intensive care unit to $2.1 million for an 880-bed academic medical 
center (Leung V, Gill S, Sauve J, Walker K, Stumpo C, Powis J. Growing 
a ``positive culture'' of antimicrobial stewardship in a community 
hospital. The Canadian journal of hospital pharmacy. 2011; 64(5):314-
20; Beardsley JR, Williamson JC, Johnson JW, Luther VP, Wrenn RH, Ohl 
CC. Show me the money: Long-term financial impact of an antimicrobial 
stewardship program. Infection control and hospital epidemiology: The 
official journal of the Society of Hospital Epidemiologists of America. 
2012; 33(4):398-400). We specifically note the $177,000 in annual drug 
cost savings achieved by a 120-bed community hospital with its AS 
program and would use that as the average cost savings for the average-
sized 124-bed hospital discussed above (LaRocco 2003, CID ``Concurrent 
antibiotic review programs-a role for infectious diseases specialists 
at small community hospitals''). Using this assumption, we believe that 
the annual drug cost savings for 60 percent of all 4,900 hospitals 
under this proposed rule would be $520,380,000 or approximately $520 
million (2,940 hospitals x $177,000 in drug cost savings).
    In addition to these savings, we also believe that the proposed 
requirement for an AS program would assist hospitals in significantly 
reducing rates of CDI and the attendant costs. Based on an AS program 
model developed by the CDC, a hospital combined IC/AS program with an 
average effectiveness rate of 50 percent would reduce the number of 
CDIs among Medicare beneficiaries annually by 101,000

[[Page 39472]]

(Rachel B. Slayton, Ph.D., MPH; R. Douglas Scott II, Ph.D.; James 
Baggs, Ph.D.; Fernanda C. Lessa, MD; L. Clifford McDonald, MD; John A. 
Jernigan, MD. ``The Cost-Benefit of Federal Investment in Preventing 
Clostridium difficile Infections through the Use of a Multifaceted 
Infection Control and Antimicrobial Stewardship Program,'' Infection 
Control & Hospital Epidemiology 2015;00(0):1-7). The costs examined in 
the model were costs for patients who developed CDIs while they were in 
the hospital or had to be re-admitted to the hospital for a case of CDI 
that was a result of a recent hospitalization, so the costs are much 
higher than what would be associated with outpatient cases. The 
101,000-reduction is an annual reduction in the number of cases of CDI 
among patients who develop the infection because of medical care; that 
is, they were admitted for something else and then acquired CDI while 
getting care. It should be noted that the 101,000 number actually 
comprises two types of CDI--cases that occur while the patient is in 
the hospital and cases that are directly attributable to a recent 
hospitalization, but which manifest after the patient is discharged and 
requires a readmission. The cost for patients who develop the infection 
while they are already in the hospital is between $4,323 and $8,146. 
However, the infections related to a recent hospital stay that require 
readmission are more expensive, on average, because they require an 
entirely new admission. The cost of those cases is between $7,061 and 
$11,601. Slayton et al. estimate $2.5 billion in federal savings over 
five years, or an annual average of $0.5 billion.\2\ We believe that 
the combined annual savings that hospitals could achieve with the 
proposed AS program and the proposed revisions to infection control 
would be $1,020,000,000 or $1 billion.
---------------------------------------------------------------------------

    \2\ Slayton et al. appear not to account for the increased 
Medicare costs that would result from IC/AS program-associated 
reductions in CDI-related deaths. Although such an accounting would 
be appropriate to include in this regulatory impact analysis, its 
negative effect on estimated net benefits would almost certainly be 
more than offset by the inclusion of a willingness-to-pay estimate 
of the value of life extension. Willingness-to-pay approaches can 
also be used to monetize the decrease in pain and suffering 
associated with reductions in non-fatal morbidity, so we request 
data that would allow for more thorough estimation of all of these 
effects (i.e., the societal benefits of reduced non-fatal CDI 
illness and the societal benefits and costs of reduced fatal CDI 
illness).
---------------------------------------------------------------------------

    We note that these savings would be both to hospitals as well as 
healthcare insurers, including Medicare. However, we are not able to 
distinguish the savings that would accrue to each group in this 
analysis. Healthcare-associated infections are known to be expensive to 
insurers, including CMS. Preventing these infections will reduce CMS 
and other insurer expenditures, both on direct hospital costs and 
through reduced re-admissions. The cost-savings estimates for CDI 
included in the RIA provide an example of the savings Medicare and 
other insurers could realize through reductions in just one HAI.\3\
---------------------------------------------------------------------------

    \3\ We invite data that would allow for quantification of the 
rule's impacts on HAIs other than CDI.
---------------------------------------------------------------------------

    We anticipate that the drug savings accrue to the hospitals. The 
CDI savings are likely shared by hospitals and insurers. Hospitals do 
bear some of these costs of CDI infections, especially if the CDI case 
complicates a hospitalization--for example if a patient admitted for 
pneumonia gets CDI, under bundled payment rules, the hospital would 
likely make less money from that admission. Also, CDI now also factors 
into annual payment updates under the inpatient quality reporting 
program, so hospitals with high CDI rates could face payment 
reductions.
    We believe that the burden of implementing and maintaining an AS 
program includes the salaries of the qualified personnel needed to 
establish and manage such a hospital program. Our review of the 
literature, consultations with CDC, and experience with hospitals 
suggests that the establishment and maintenance of a hospital 
antibiotic stewardship program as proposed here, for an average-size 
hospital (approximately 124 beds), would require the services of a 
physician (preferably one with training in infectious diseases) and a 
clinical pharmacist, and also a network data analyst, at the following 
proportions of full-time employee salaries respectively: 0.10, 0.25, 
and 0.05. We believe that these personnel costs would constitute the 
real burden for these proposed requirements. To determine the cost of 
this burden, we added the proportion of full-time salaries required of 
a physician, a clinical pharmacist, and a network analyst. We also 
based our estimates on the assumption that 60 percent of hospitals do 
not yet have programs that implement all of the CDC core elements 
(based on data from the 2015 NHSN survey). Based on these assumptions, 
the total annual cost for a hospital to establish and maintain an 
antibiotic stewardship program would be $100,900 (($187 x 0.10 x 2,000 
hours per year = $37,400 for a physician) + ($113 x 0.25 x 2,000 hours 
per year = $56,500 for a clinical pharmacist) + ($70 per hour x 0.05 x 
2,000 hour per year = $7,000 for a network data analyst)). The total 
annual labor cost for 60 percent of hospitals ($100,900 x 2,940) would 
be approximately $297 million.
    As shown above, however, we estimate that the drug cost savings of 
implementing and maintaining IC/AS programs would be $520.4 million. 
For hospitals to not have voluntarily implemented such programs 
indicates that their costs are at least as great as their savings; 
therefore, either labor costs are underestimated at $297 million or 
there are non-labor costs involved in the implementation and 
maintenance of IC/AS programs. We therefore estimate $520.4 million as 
a lower bound on the costs associated with this provision of the 
proposed rule. Moreover, as discussed previously, non-drug cost savings 
may also accrue to hospitals; if so, then lack of voluntary 
implementation indicates that costs associated with this provision 
would be at least $1.0 billion. We invite public comment regarding the 
amount by which costs exceed savings in cases of non-voluntary IC/AS 
program adoption.
Ordering Privileges for Qualified Dietitians (RDs) and Qualified 
Nutrition Professionals (Provision of Services Sec.  485.635)
    We propose to revise the CAH requirements at 42 CFR 
485.635(a)(3)(vii), which currently requires that the nutritional needs 
of inpatients are met in accordance with recognized dietary practices 
and the orders of the practitioner responsible for the care of the 
patients. Specifically, we are proposing revisions that would change 
the CMS requirements to allow for flexibility in this area by requiring 
that all patient diets, including therapeutic diets, must be ordered by 
a practitioner responsible for the care of the patient, or by a 
qualified dietitian or qualified nutrition professional as authorized 
by the medical staff in accordance with State law governing dietitians 
and nutrition professionals.
    With these proposed changes to the current requirements, a CAH 
would have the regulatory flexibility to grant qualified dietitians/
nutrition professionals specific dietary ordering privileges (including 
the capacity to order specific laboratory tests to monitor nutritional 
interventions and then modify those interventions as needed). We 
believe that this is another area of change to the requirements that 
might produce savings since our proposal would allow physicians to 
delegate to a qualified dietitian or qualified nutrition professional 
the task of prescribing patient diets, including therapeutic diets, to 
the extent allowed by state law.

[[Page 39473]]

We further believe that dietitians or other clinically qualified 
nutrition professionals are already performing patient dietary 
assessments and making dietary recommendations to the physician (or PA 
or APRN) who then evaluates the recommendations and writes orders to 
implement them. Our analysis does not take into account improved 
quality of life nor improved clinical outcomes for the patient. We do 
not currently have data to more precisely estimate the savings that 
this proposed revision could produce in CAHs. We welcome commenters to 
provide data that might assist in a more precise estimate. However, we 
believe that it might allow for better use of both physician/PA/APRN 
and dietitian/nutrition professional time and could result in improved 
quality of life and improved clinical outcomes for CAH patients.
    More obviously, dietitians/nutrition professionals with ordering 
privileges would be able to provide dietary/nutritional services at 
lower costs than physicians (as well as APRNs and PAs, two categories 
of non-physician practitioners that have traditionally also devised and 
written patient dietary plans and orders). This cost savings stems in 
some part from significant differences in the average salaries between 
the professions and the time savings achieved by allowing dietitians/
nutrition professionals to autonomously plan, order, monitor, and 
modify services as needed and in a more complete and timely manner than 
they are currently allowed. Savings would be realized by CAHs through 
the physician/APRN/PA time and salaries saved.
    Physicians, APRNs, and PAs often lack the training and educational 
background to manage the nutritional needs of patients with the same 
efficiency and skill as dietitians/nutrition professionals. The 
addition of ordering privileges enhances the ability that dietitians/
nutrition professionals already have to provide timely, cost-effective, 
and evidence-based nutrition services as the recognized nutrition 
experts on a CAH interdisciplinary team.
    It might seem natural to calculate these cost savings for CAHs 
based on the following assumptions:
     There is an average hourly cost difference of $70 between 
dietitians/nutrition professionals on one side ($56 per hour) and the 
hourly cost average for physicians, APRNs, and PAs ($126 per hour) on 
the other;
     There were 282,584 inpatient visits by Medicare 
beneficiaries in 2011 (According to a December 2013 OIG report (http://oig.hhs.gov/oei/reports/oei-05-12-00081.pdf)) with each of these stays 
requiring at least one dietary plan and orders;
     On average, each dietary order, including ordering and 
monitoring of laboratory tests, subsequent modifications to orders, and 
dietary orders for discharge/transfer/outpatient follow-up as needed, 
will take 30 minutes (0.5 hours) of a physician's/APRN's/PA's/
dietitian's/nutrition professional's time per patient during an average 
stay; and
     We estimate that approximately 50 percent of CAHs (or 
approximately 650 CAHs) have not already granted ordering privileges to 
dietitians and nutrition professionals, reducing the number of total 
number of CAH inpatient stays to 141,292.
    The resulting savings would be $7,608 annually on average for each 
CAH (141,292 inpatient hospital stays x 0.50 hours of a physician's/
APRN's/PA's/dietitian's/nutrition professional's time x $70 per hourly 
cost difference / 650 CAHs) for a total annual savings of approximately 
$5 million. We note that these estimates exclude some categories of 
cost increases (for example, internal CAH meetings to plan changes and 
the time and other costs of training physicians, dietitians/nutrition 
professionals, and other staff on the new dietary ordering procedures). 
Even more importantly, this estimate does not account for barriers, 
other than federal regulation, to RDs receiving ordering privileges; 
Weil et al. (2008) provide evidence on the existence of such barriers, 
which would likely prevent at least some of these cost savings from 
being realized.\4\ If such barriers are not relevant, then there is 
another adjustment that would need to be made to the calculation. 
Specifically, the dietitian wage estimate would need to be revised 
because the May 2014 wage data do not account for the increase in 
demand for dietitians we projected would result from the hospital 
burden reduction rule finalized that same month. For the savings 
estimates accompanying that rule to be achieved would require at least 
6.7 percent of the dietitian FTEs in the U.S. to be newly allocated to 
providing nutrition services to hospital patients.\5\ This shift in 
activity entails a substantial movement along the supply curve for 
dietitian labor, thus raising the dietitian wage and reducing the cost 
savings estimated with the method outlined. For these reasons, as well 
as our lack of data on CAH outpatient visits for nutritional services 
and the impact that the proposed regulatory changes might have on 
hospital costs in this area, we present the $10 million estimate for 
discussion purposes only and do not include it in the summary estimates 
of costs and cost savings attributable to the proposed rule.
---------------------------------------------------------------------------

    \4\ Weil, Sharon D., et al. ``Registered Dietitian Prescriptive 
Practices in Hospitals.'' Journal of the American Dietetic 
Association 108:1688-1692. October 2008.
    \5\ BLS data show employment of 59,490 dietitians, with a mean 
hourly wage of $27.62. Assuming all dietitians are employed full-
time (2,080 hours annually) yields a total sector value of $3.4 
billion, or $6.8 billion when doubled to account for fringe benefits 
and overhead. For the May, 2014, final rule, we estimated $459 
million of loaded wage savings associated with dietary ordering 
switching from physicians, nurse practitioners and physician 
assistants to lower-paid dietitians. Thus the relevant portion of 
the savings estimate equals roughly 6.7 percent (= $459 million / 
$6.8 billion) of the sector as a whole--and would exceed 6.7 
percent, to the extent that some current dietitian positions are 
part-time.
---------------------------------------------------------------------------


Sec.  485.640  Condition of participation: Infection prevention and 
control and antibiotic stewardship programs

    As we proposed for hospitals, we are also proposing new infection 
prevention and control and antibiotic stewardship requirements for 
CAHs. The infection control requirements for CAHs have remained 
unchanged since 1997. We are adding a new infection prevention and 
control (as well as antibiotic stewardship) CoP for CAHs because the 
existing standards for infection control do not reflect the current 
nationally recognized practices for the prevention and elimination of 
healthcare-associated infections.
Infection Prevention and Control
    Each CAH would be required to review their current infection 
control program and compare it to the new requirements contained in 
this section. After performing this comparison, each CAH would be 
required to revise their program so that it complied with the 
requirements in this section. Based on our experience with CAHs, we 
believe that a physician and a nurse on the infection control team 
would conduct this review and revision of the program. We believe both 
the physician and the nurse would spend 16 hours each for a total of 32 
hours. Physicians earn an average of $187 an hour. Nurses earn an 
average salary of $68 an hour. Thus, to ensure their infection control 
program complied with the requirements in this section, we estimate 
that each CAH would require 32 burden hours (16 hours for a physician 
and 16 hours for a nurse = 32 burden hours) at a cost of $4,080 ($2,992 
($187 an hour for a physician x 16 burden hours = $2,292) + $1,088($68 
an hour for a nurse x 16

[[Page 39474]]

burden hours = $1,088) = $4,080 estimated cost). Based on the estimate, 
for all 1,300 CAHs, complying with this requirement would require 
41,600 burden hours (32 hours for each CAH x 1,300 CAHs = 41,600 burden 
hours) at a one-time cost of approximately $5 million ($4,080 for each 
CAH x 1,300 CAHs = $5,304,000 estimated cost).
Antibiotic Stewardship
    Similarly, we believe that the proposed requirements for a CAH to 
have an active antibiotic stewardship program, and for its organization 
and policies, would constitute additional regulatory burden. However, 
we believe that the burden of implementing and maintaining an AS 
program includes the salaries of the qualified personnel needed to 
establish and manage such a CAH program. Our review of the literature, 
consultations with CDC, and experience with CAHs suggests that the 
establishment and maintenance of a CAH antibiotic stewardship program 
as proposed here, for a statutorily mandated 25-bed CAH, would require 
the services of a physician (preferably an infectious disease physician 
or physician with training in antibiotic stewardship) and a clinical 
pharmacist (preferably with training in infectious diseases or 
antibiotic stewardship), and also a network data analyst at the 
following proportions of full-time employee salaries respectively: 
0.05, 0.10, and 0.025. We believe that these personnel costs would 
constitute a real burden for these proposed requirements. To determine 
the cost of this burden, we have added the proportion of full-time 
salaries required of a physician, a clinical pharmacist, and a network 
analyst. Based on these assumptions, the total annual cost for a CAH to 
establish and maintain an antibiotic stewardship program would be 
$44,800 (($187 per hour x 0.05 x 2,000 hours per year = $18,700 for a 
physician) + ($113 per hour x 0.10 x 2,000 hours per year = $22,600 for 
a clinical pharmacist) + ($70 per hour x 0.025 x 2,000 hours per year = 
$3,500 for a network data analyst)). According to CDC, 97 of 397 (or 
approximately 24 percent) of hospitals with fewer than 25 beds reported 
having an AS program that meets all of the CDC's core elements. 
However, we have no way of determing from the data how many of these 
less-than-25-bed hospitals are actually CAHs. For the purposes of this 
burden estimate, we assume that 24 percent of the total 1,328 CAHs (or 
approximately 319 CAHs) have already implemented an AS program. 
Therefore, 1,009 CAHs have not implemented an AS program. The total 
annual cost for these CAHs (x 1,009) would be approximately $45 
million.
    However, we believe that the estimated costs of an AS program would 
be somewhat offset by the savings that a CAH would achieve through such 
a program. The most obvious savings would be from decreased 
inappropriate antibiotic use leading to overall decreased drug costs 
for a CAH. Our review of the literature showed significant savings in 
this area, with annual savings proportional to bed size of the 
hospital. Reported annual savings ranged from $27,917 for a 12-bed 
medical/surgical intensive care unit to $2.1 million for an 880-bed 
academic medical center. We specifically note the $177,000 in annual 
drug cost savings achieved by a 120-bed community hospital with its AS 
program (LaRocco 2003, CID ``Concurrent antibiotic review programs-a 
role for infectious diseases specialists at small community CAHs'') and 
would use that as the basis to calculate average annual cost savings 
for a 25-bed CAH ($177,000 annual savings / 120 beds = $1,475 annual 
cost savings per bed) at $36,875 per CAH ($1,475 annual cost savings x 
25 beds). Using this assumption, we believe that the annual drug cost 
savings for 1,009 CAHs under this proposed rule would be approximately 
$37 million (1,009 CAHs x $36,875 in drug cost savings).
    In addition to these savings, we also believe that the proposed 
requirement for an AS program would assist CAHs in significantly 
reducing rates of CDI and the attendant costs. Based on an AS program 
model developed by the CDC, a CAH combined IC/AS program with an 
average effectiveness rate of 50 percent would reduce the number of 
CDIs among Medicare beneficiaries annually by 101,000. However, we do 
not have a reliable means to distinguish this cost savings for CAHs 
from the cost savings for hospitals that we have already calculated.
2. Effects on Small Entities
    The RFA requires agencies to analyze options for regulatory relief 
of small entities, if a rule has a significant impact on a substantial 
number of small entities. For purposes of the RFA, we estimate that the 
great majority of the providers that would be affected by CMS rules are 
small entities as that term is used in the RFA. The great majority of 
hospitals and most other healthcare providers and suppliers are small 
entities, either by being nonprofit organizations or by meeting the SBA 
definition of a small business. Accordingly, the usual practice of HHS 
is to treat all providers and suppliers as small entities in analyzing 
the effects of our rules.
    This proposed rule would cost affected entities approximately $0.6 
to 1.1 billion a year, largely, but not entirely, offset by savings. 
While this is a large amount in total, the average cost per affected 
hospital is less than one half million dollars per year. Although the 
overall magnitude of the paperwork, staffing, and related cost 
reductions to hospitals and CAHs under this rule is economically 
significant, these savings are likely to be a fraction of one percent 
of total hospital costs. Total national inpatient hospital spending is 
approximately nine hundred billion dollars a year, or an average of 
about $150 million per hospital, and our primary estimate of the net 
(though possibly not the gross) effect of these proposals on increasing 
hospital costs is less than $1 billion annually.
    Under HHS guidelines for RFA, actions that do not negatively affect 
costs or revenues by more than 3 percent a year are not economically 
significant. We believe that no hospitals of any size will be 
negatively affected to this degree. Accordingly, we have determined 
that this proposed rule would not have a significant economic impact on 
a substantial number of small entities, and certify that an Initial RFA 
is not required. Notwithstanding this conclusion, we believe that this 
RIA and the preamble as a whole meet the requirements of the RFA for 
such an analysis.
    In addition, section 1102(b) of the Act requires us to prepare a 
regulatory impact analysis if a rule may have a significant impact on 
the operations of a substantial number of small rural hospitals. This 
analysis must conform to the provisions of section 603 of the RFA. For 
purposes of section 1102(b) of the Act, we define a small rural 
hospital as a hospital that is located outside of a metropolitan 
statistical area and has fewer than 100 beds. For the preceding 
reasons, we have determined that this proposed rule will lead to net 
savings and will therefore not have a significant negative impact on 
the operations of a substantial number of small rural hospitals.
    Section 202 of the Unfunded Mandates Reform Act of 1995 (UMRA) also 
requires that agencies assess anticipated costs and benefits before 
issuing any rule whose mandates require spending in any 1 year of $100 
million in 1995 dollars, updated annually for inflation. In 2016, that 
is approximately $144 million. This proposed rule does not contain any 
mandates.

[[Page 39475]]

    Executive Order 13132 establishes certain requirements that an 
agency must meet when it issues a proposed rule (and subsequent final 
rule) that would impose substantial direct requirement costs on State 
and local governments, preempts State law, or otherwise has Federalism 
implications. This rule would not have a substantial direct effect on 
State or local governments, preempt States, or otherwise have a 
Federalism implication.

D. Alternatives Considered

    As we stated, CMS is aware, through conversations with stakeholders 
and federal partners, and as a result of internal evaluation and 
research, of outstanding concerns about the CoPs for hospitals and 
CAHs, despite recent revisions. This subset of the universe of 
standards is the focus of this proposed rule.
    One alternative we did consider was combining the infection 
prevention and control leader position with that of the antibiotic 
stewardship leader position. While this would certainly reduce the 
costs for hospitals by eliminating one of these positions, we also 
believe that it might reduce the overall effectiveness of the program 
and, thus, the overall societal benefits that might be achieved. The 
skills needed to lead each program are different. Infection prevention 
programs are often led by nursing staff who do not prescribe 
antibiotics. Antibiotic stewardship programs are led by physicians and 
pharmacists who have direct knowledge and experience with antibiotic 
prescribing. For these reasons, we decided to propose the requirement 
as it is contained in this rule.
    For all of the proposed provisions, we considered not making these 
changes. Ultimately, based on our analysis of these issues and for the 
reasons stated in this preamble, we believe that it is best to propose 
changes at this time. We welcome comments on whether we properly 
selected the best candidates for change, and welcome suggestions for 
additional reform candidates from the entire body of CoPs.

E. Accounting Statement and Table

    As required by OMB Circular A-4 (available at http://www.whitehouse.gov/omb/circulars/a004/a-4.pdf), we have prepared an 
accounting statement.

                  Table 2--Accounting Statement: Classification of Estimated Costs and Benefits
                                                 [$ In millions]
----------------------------------------------------------------------------------------------------------------
                                                                                       Units
                   Category                        Estimates     -----------------------------------------------
                                                                    Year dollar    Discount rate  Period covered
----------------------------------------------------------------------------------------------------------------
                                                    Benefits
----------------------------------------------------------------------------------------------------------------
Annualized...................................              1,057            2015              7%       2016-2020
Monetized ($million/year)....................              1,057            2015              3%       2016-2020
----------------------------------------------------------------------------------------------------------------
                 Qualitative                    Potential Reductions in morbidity and mortality for hospital and
                                                                          CAH patients
----------------------------------------------------------------------------------------------------------------
                                                     Costs *
----------------------------------------------------------------------------------------------------------------
Annualized...................................       748 to 1,248            2015              7%       2016-2020
Monetized ($million/year)....................       748 to 1,248            2015              3%       2016-2020
----------------------------------------------------------------------------------------------------------------

F. Conclusion

    The impact of this proposed rule lies primarily with the estimated 
costs (approximately $773 million to $1.1 billion) of revising the 
hospital and CAH infection control CoPs, including the new requirements 
for antibiotic stewardship programs. However, these costs may be more 
than offset by the savings, and the overall benefits to patients, that 
would be achieved with these changes (net savings to society of up to 
$284 million). The analysis, together with the remainder of this 
preamble, provides a Regulatory Impact Analysis and an Initial 
Regulatory Flexibility Analysis.
    In accordance with the provisions of Executive Order 12866, this 
regulation was reviewed by the Office of Management and Budget.

List of Subjects

42 CFR Part 482

    Grant programs--health, Hospitals, Medicaid, Medicare, Reporting 
and recordkeeping requirements.

42 CFR Part 485

    Grant programs--health, Health facilities, Medicaid, Medicare, 
Reporting and recordkeeping requirements.
    For the reasons set forth in the preamble, the Centers for Medicare 
& Medicaid Services proposes to amend 42 CFR chapter IV as set forth 
below:

PART 482--CONDITIONS OF PARTICIPATION FOR HOSPITALS

0
1. The authority citation for part 482 continues to read as follows:

    Authority: Secs. 1102, 1871 and 1881 of the Social Security Act 
(42 U.S.C. 1302, 1395hh, and 1395rr), unless otherwise noted.

0
2. Section 482.13 is amended by revising paragraphs (d)(2), (e)(5), 
(e)(8)(ii), (e)(10), (e)(11), (e)(12)(i), (e)(14), and (g)(4)(ii) and 
by adding paragraph (i) to read as follows:


Sec.  482.13  Condition of participation: Patient's rights.

* * * * *
    (d) * * *
    (2) The patient has the right to access their medical records, upon 
an oral or written request, in the form and format requested by the 
individual, if it is readily producible in such form and format 
(including in an electronic form or format when such medical records 
are maintained electronically); or, if not, in a readable hard copy 
form or such other form and format as agreed to by the facility and the 
individual, including current medical records, within a reasonable time 
frame. The hospital must not frustrate the legitimate efforts of 
individuals to gain access to their own medical records and

[[Page 39476]]

must actively seek to meet these requests as quickly as its record 
keeping system permits.
    (e) * * *
    (5) The use of restraint or seclusion must be in accordance with 
the order of a physician or other licensed practitioner who is 
responsible for the care of the patient and authorized to order 
restraint or seclusion by hospital policy in accordance with State law.
* * * * *
    (8) * * *
    (ii) After 24 hours, before writing a new order for the use of 
restraint or seclusion for the management of violent or self-
destructive behavior, a physician or other licensed practitioner who is 
responsible for the care of the patient and authorized to order 
restraint or seclusion by hospital policy in accordance with State law 
must see and assess the patient.
* * * * *
    (10) The condition of the patient who is restrained or secluded 
must be monitored by a physician, other licensed practitioner, or 
trained staff that have completed the training criteria specified in 
paragraph (f) of this section at an interval determined by hospital 
policy.
    (11) Physician and other licensed practitioner training 
requirements must be specified in hospital policy. At a minimum, 
physicians and other licensed practitioners authorized to order 
restraint or seclusion by hospital policy in accordance with State law 
must have a working knowledge of hospital policy regarding the use of 
restraint or seclusion.
    (12) * * *
    (i) By a--
    (A) Physician or other licensed practitioner.
    (B) Registered nurse who has been trained in accordance with the 
requirements specified in paragraph (f) of this section.
* * * * *
    (14) If the face-to-face evaluation specified in paragraph (e)(12) 
of this section is conducted by a trained registered nurse, the trained 
registered nurse must consult the attending physician or other licensed 
practitioner who is responsible for the care of the patient as soon as 
possible after the completion of the 1-hour face-to-face evaluation.
* * * * *
    (g) * * *
    (4) * * *
    (ii) Each entry must document the patient's name, date of birth, 
date of death, name of attending physician or other licensed 
practitioner who is responsible for the care of the patient, medical 
record number, and primary diagnosis(es).
* * * * *
    (i) Standard: Non-discrimination. A hospital must meet the 
following requirements:
    (1) Not discriminate on the basis of race, color, religion, 
national origin, sex (including gender identity), sexual orientation, 
age, or disability.
    (2) Establish and implement a written policy prohibiting 
discrimination on the basis of race, color, religion, national origin, 
sex (including gender identity), sexual orientation, age, or 
disability.
    (3) Inform each patient (and/or support person, where appropriate), 
in a language he or she can understand, of his or her right to be free 
from discrimination against them and how to file a complaint if they 
encounter discrimination when he or she is informed of his or her other 
rights under this section.
0
3. Section 482.21 is amended by revising paragraph (b)(1) to read as 
follows:


Sec.  482.21  Condition of participation: Quality assessment and 
performance improvement program.

* * * * *
    (b) * * *
    (1) The program must incorporate quality indicator data including 
patient care data, and other relevant data such as data submitted to or 
received from Medicare quality reporting and quality performance 
programs, including but not limited to data related to hospital 
readmissions and hospital-acquired conditions.
* * * * *
0
4. Section 482.23 is amended by revising paragraphs (b) introductory 
text, (b)(4) and (6), (c)(1) introductory text, and (c)(3), and by 
adding paragraph (b)(7) to read as follows:


Sec.  482.23  Condition of participation: Nursing services.

* * * * *
    (b) Standard: Staffing and delivery of care. The nursing service 
must have adequate numbers of licensed registered nurses, licensed 
practical (vocational) nurses, and other personnel to provide nursing 
care to all patients as needed. There must be supervisory and staff 
personnel for each department or nursing unit to ensure, when needed, 
the immediate availability of a registered nurse for the care of any 
patient.
* * * * *
    (4) The hospital must ensure that the nursing staff develops, and 
keeps current for each patient, a nursing care plan that reflects the 
patient's goals and the nursing care to be provided to meet the 
patient's needs. The nursing care plan may be part of an 
interdisciplinary care plan.
* * * * *
    (6) All licensed nurses who provide services in the hospital must 
adhere to the policies and procedures of the hospital. The director of 
nursing service must provide for the adequate supervision and 
evaluation of the clinical activities of all nursing personnel which 
occur within the responsibility of the nursing service, regardless of 
the mechanism through which those personnel are providing services 
(that is, hospital employee, contract, lease, other agreement, or 
volunteer).
    (7) The hospital must have policies and procedures in place 
establishing which outpatient departments, if any, are not required 
under hospital policy to have a registered nurse present. The policies 
and procedures must:
    (i) Establish the criteria such outpatient departments must meet, 
taking into account the types of services delivered, the general level 
of acuity of patients served by the department, and the established 
standards of practice for the services delivered;
    (ii) Establish alternative staffing plans;
    (iii) Be approved by the medical staff;
    (iv) Be reviewed at least once every three years.
    (c) * * *
    (1) Drugs and biologicals must be prepared and administered in 
accordance with Federal and State laws, the orders of the practitioner 
or practitioners responsible for the patient's care, and accepted 
standards of practice.
* * * * *
    (3) With the exception of influenza and pneumococcal vaccines, 
which may be administered per physician-approved hospital policy after 
an assessment of contraindications, orders for drugs and biologicals 
must be documented and signed by a practitioner who is authorized to 
write orders in accordance with State law and hospital policy, and who 
is responsible for the care of the patient.
    (i) If verbal orders are used, they are to be used infrequently.
    (ii) When verbal orders are used, they must only be accepted by 
persons who are authorized to do so by hospital policy and procedures 
consistent with Federal and State law.
    (iii) Orders for drugs and biologicals may be documented and signed 
by other practitioners only if such practitioners are acting in 
accordance with State law,

[[Page 39477]]

including scope-of-practice laws, hospital policies, and medical staff 
bylaws, rules, and regulations.
* * * * *
0
5. Section 482.24 is amended by revising paragraphs (c) introductory 
text and (c)(4)(ii), (iv), (vi), (vii), and (viii) to read as follows:


Sec.  482.24  Condition of participation: Medical record services.

* * * * *
    (c) Standard: Content of record. The medical record must contain 
information to justify all admissions and continued hospitalizations, 
support the diagnoses, describe the patient's progress and responses to 
medications and services, and document all inpatient stays and 
outpatient visits to reflect all services provided to the patient.
* * * * *
    (4) * * *
    (ii) All diagnoses specific to each inpatient stay and outpatient 
visit.
* * * * *
    (iv) Documentation of complications, hospital-acquired conditions, 
healthcare-associated infections, and adverse reactions to drugs and 
anesthesia.
* * * * *
    (vi) All practitioners' progress notes and orders, nursing notes, 
reports of treatment, interventions, responses to interventions, 
medication records, radiology and laboratory reports, and vital signs 
and other information necessary to monitor the patient's condition and 
to reflect all services provided to the patient.
    (vii) Discharge and transfer summaries with outcomes of all 
hospitalizations, disposition of cases, and provisions for follow-up 
care for all inpatient and outpatient visits to reflect the scope of 
all services received by the patient.
    (viii) Final diagnoses with completion of medical records within 30 
days following all inpatient stays, and within 7 days following all 
outpatient visits.
0
6. Section 482.27 is amended by revising paragraph (b)(7) and removing 
paragraph (b)(11) to read as follows:


Sec.  482.27  Condition of participation: Laboratory services.

* * * * *
    (b) * * *
    (7) Timeframe for notification. For notifications resulting from 
donors tested on or after February 20, 2008 as set forth at 21 CFR 
610.46 and 610.47 the notification effort begins when the blood 
collecting establishment notifies the hospital that it received 
potentially HIV or HCV infectious blood and blood components. The 
hospital must make reasonable attempts to give notification over a 
period of 12 weeks unless--
    (i) The patient is located and notified; or
    (ii) The hospital is unable to locate the patient and documents in 
the patient's medical record the extenuating circumstances beyond the 
hospital's control that caused the notification timeframe to exceed 12 
weeks.
* * * * *
0
7. Section 482.42 is revised to read as follows:


Sec.  482.42  Condition of participation: Infection prevention and 
control and antibiotic stewardship programs.

    The hospital must have active hospital-wide programs for the 
surveillance, prevention, and control of HAIs and other infectious 
diseases, and for the optimization of antibiotic use through 
stewardship. The programs must demonstrate adherence to nationally 
recognized infection prevention and control guidelines, as well as best 
practices for improving antibiotic use, where applicable, for reducing 
the development and transmission of HAIs and antibiotic-resistant 
organisms. Infection prevention and control problems and antibiotic use 
issues identified in the programs must be addressed in collaboration 
with the hospital-wide quality assessment and performance improvement 
(QAPI) program.
    (a) Standard: Infection prevention and control program organization 
and policies. The hospital must ensure all of the following:
    (1) An individual (or individuals), who are qualified through 
education, training, experience, or certification in infection 
prevention and control, are appointed by the governing body as the 
infection preventionist(s)/infection control professional(s) 
responsible for the infection prevention and control program and that 
the appointment is based on the recommendations of medical staff 
leadership and nursing leadership.
    (2) The hospital infection prevention and control program, as 
documented in its policies and procedures, employs methods for 
preventing and controlling the transmission of infections within the 
hospital and between the hospital and other institutions and settings.
    (3) The infection prevention and control program includes 
surveillance, prevention, and control of HAIs, including maintaining a 
clean and sanitary environment to avoid sources and transmission of 
infection, and addresses any infection control issues identified by 
public health authorities.
    (4) The infection prevention and control program reflects the scope 
and complexity of the hospital services provided.
    (b) Standard: Antibiotic stewardship program organization and 
policies. The hospital must ensure all of the following:
    (1) An individual, who is qualified through education, training, or 
experience in infectious diseases and/or antibiotic stewardship, is 
appointed by the governing body as the leader of the antibiotic 
stewardship program and that the appointment is based on the 
recommendations of medical staff leadership and pharmacy leadership.
    (2) An active hospital-wide antibiotic stewardship program must:
    (i) Demonstrate coordination among all components of the hospital 
responsible for antibiotic use and resistance, including, but not 
limited to, the infection prevention and control program, the QAPI 
program, the medical staff, nursing services, and pharmacy services.
    (ii) Document the evidence-based use of antibiotics in all 
departments and services of the hospital.
    (iii) Demonstrate improvements, including sustained improvements, 
in proper antibiotic use, such as through reductions in CDI and 
antibiotic resistance in all departments and services of the hospital.
    (3) The antibiotic stewardship program adheres to nationally 
recognized guidelines, as well as best practices, for improving 
antibiotic use.
    (4) The antibiotic stewardship program reflects the scope and 
complexity of the hospital services provided.
    (c) Standard: Leadership responsibilities. (1) The governing body 
must ensure all of the following:
    (i) Systems are in place and operational for the tracking of all 
infection surveillance, prevention, and control, and antibiotic use 
activities, in order to demonstrate the implementation, success, and 
sustainability of such activities.
    (ii) All HAIs and other infectious diseases identified by the 
infection prevention and control program as well as antibiotic use 
issues identified by the antibiotic stewardship program are addressed 
in collaboration with hospital QAPI leadership.
    (2) The infection preventionist(s)/infection control 
professional(s) are responsible for:
    (i) The development and implementation of hospital-wide infection 
surveillance, prevention, and

[[Page 39478]]

control policies and procedures that adhere to nationally recognized 
guidelines.
    (ii) All documentation, written or electronic, of the infection 
prevention and control program and its surveillance, prevention, and 
control activities.
    (iii) Communication and collaboration with the hospital's QAPI 
program on infection prevention and control issues.
    (iv) Competency-based training and education of hospital personnel 
and staff, including medical staff, and, as applicable, personnel 
providing contracted services in the hospital, on the practical 
applications of infection prevention and control guidelines, policies, 
and procedures.
    (v) The prevention and control of HAIs, including auditing of 
adherence to infection prevention and control policies and procedures 
by hospital personnel.
    (vi) Communication and collaboration with the antibiotic 
stewardship program.
    (3) The leader of the antibiotic stewardship program is responsible 
for:
    (i) The development and implementation of a hospital-wide 
antibiotic stewardship program, based on nationally recognized 
guidelines, to monitor and improve the use of antibiotics.
    (ii) All documentation, written or electronic, of antibiotic 
stewardship program activities.
    (iii) Communication and collaboration with medical staff, nursing, 
and pharmacy leadership, as well as the hospital's infection prevention 
and control and QAPI programs, on antibiotic use issues.
    (iv) Competency-based training and education of hospital personnel 
and staff, including medical staff, and, as applicable, personnel 
providing contracted services in the hospital, on the practical 
applications of antibiotic stewardship guidelines, policies, and 
procedures.
0
8. Section 482.58 is amended by revising paragraph (b)(6) to read as 
follows:


Sec.  482.58  Special requirements for hospital providers of long-term 
care services (``swing-beds'').

* * * * *
    (b) * * *
    (6) Discharge summary (Sec.  483.20(l)).
* * * * *

PART 485--CONDITIONS OF PARTICIPATION: SPECIALIZED PROVIDERS

0
9. The authority citation for part 485 continues to read as follows:

    Authority: Secs. 1102 and 1871 of the Social Security Act (42 
U.S.C. 1302 and 1395(hh)).


Sec.  485.627  [Amended]

0
10. Section 485.627 is amended by removing paragraph (b)(1) and 
redesignating paragraphs (b)(2) and (3) as paragraphs (b)(1) and (2), 
respectively.
0
11. Section 485.631 is amended by adding paragraph (d) to read as 
follows:


Sec.  485.631  Condition of participation: Staffing and staff 
responsibilities.

* * * * *
    (d) Standard: Periodic review of clinical privileges and 
performance. The CAH requires that--
    (1) The quality and appropriateness of the diagnosis and treatment 
furnished by nurse practitioners, clinical nurse specialist, and 
physician assistants at the CAH are evaluated by a member of the CAH 
staff who is a doctor of medicine or osteopathy or by another doctor of 
medicine or osteopathy under contract with the CAH.
    (2) The quality and appropriateness of the diagnosis and treatment 
furnished by doctors of medicine or osteopathy at the CAH are evaluated 
by--
    (i) One hospital that is a member of the network, when applicable;
    (ii) One Quality Improvement Organization (QIO) or equivalent 
entity;
    (iii) One other appropriate and qualified entity identified in the 
State rural health care plan;
    (iv) In the case of distant-site physicians and practitioners 
providing telemedicine services to the CAH's patient under an agreement 
between the CAH and a distant-site hospital, the distant-site hospital; 
or
    (v) In the case of distant-site physicians and practitioners 
providing telemedicine services to the CAH's patients under a written 
agreement between the CAH and a distant-site telemedicine entity, one 
of the entities listed in paragraphs (d)(2)(i) through (iii) of this 
section.
    (3) The CAH staff consider the findings of the evaluation and make 
the necessary changes as specified in paragraphs (b) through (d) of 
this section.
0
12. Section 485.635 is amended by removing paragraph (a)(3)(vi), 
redesignating paragraph (a)(3)(vii) as paragraph (a)(3)(vi), revising 
newly designated paragraph (a)(3)(vi), and adding paragraph (g) to read 
as follows:


Sec.  485.635  Condition of participation: Provision of services.

    (a) * * *
    (3) * * *
    (vi) Procedures that ensure that the nutritional needs of 
inpatients are met in accordance with recognized dietary practices. All 
patient diets, including therapeutic diets, must be ordered by the 
practitioner responsible for the care of the patients or by a qualified 
dietitian or qualified nutrition professional as authorized by the 
medical staff in accordance with State law governing dietitians and 
nutrition professionals and that the requirement of Sec.  483.25(i) of 
this chapter is met with respect to inpatients receiving post CAH SNF 
care.
* * * * *
    (g) Standard: Non-discrimination. A CAH must meet the following 
requirements:
    (1) Not discriminate on the basis of race, color, religion, 
national origin, sex (including gender identity), sexual orientation, 
age, or disability.
    (2) Establish and implement a written policy prohibiting 
discrimination on the basis of race, color, religion, national origin, 
sex (including gender identity), sexual orientation, age, or 
disability.
    (3) Inform each patient (and/or support person, where appropriate), 
in a language he or she can understand, of his or her right to be free 
from discrimination against them and how to file a complaint if they 
encounter discrimination.
0
13. Add Sec.  485.640 to read as follows:


Sec.  485.640  Condition of participation: Infection prevention and 
control and antibiotic stewardship programs.

    The CAH must have active facility-wide programs, for the 
surveillance, prevention, and control of HAIs and other infectious 
diseases and for the optimization of antibiotic use through 
stewardship. The programs must demonstrate adherence to nationally 
recognized infection prevention and control guidelines, as well as best 
practices for improving antibiotic use, where applicable, for reducing 
the development and transmission of HAIs and antibiotic-resistant 
organisms. Infection prevention and control problems and antibiotic use 
issues identified in the programs must be addressed in coordination 
with the facility-wide quality assessment and performance improvement 
(QAPI) program.
    (a) Standard: Infection prevention and control program organization 
and policies. The CAH must ensure all of the following:
    (1) An individual (or individuals), who are qualified through 
education, training, experience, or certification in infection 
prevention and control, are appointed by the governing body, or 
responsible individual, as the infection preventionist(s)/infection 
control professional(s) responsible for the

[[Page 39479]]

infection prevention and control program and that the appointment is 
based on the recommendations of medical staff leadership and nursing 
leadership.
    (2) The infection prevention and control program, as documented in 
its policies and procedures, employs methods for preventing and 
controlling the transmission of infections within the CAH and between 
the CAH and other healthcare settings.
    (3) The infection prevention and control includes surveillance, 
prevention, and control of HAIs, including maintaining a clean and 
sanitary environment to avoid sources and transmission of infection, 
and that the program also addresses any infection control issues 
identified by public health authorities.
    (4) The infection prevention and control program reflects the scope 
and complexity of the CAH services provided.
    (b) Standard: Antibiotic stewardship program organization and 
policies. The CAH must ensure that:
    (1) An individual, who is qualified through education, training, or 
experience in infectious diseases and/or antibiotic stewardship, is 
appointed by the governing body, or responsible individual, as the 
leader of the antibiotic stewardship program and that the appointment 
is based on the recommendations of medical staff leadership and 
pharmacy leadership.
    (2) An active facility-wide antibiotic stewardship program must:
    (i) Demonstrate coordination among all components of the CAH 
responsible for antibiotic use and resistance, including, but not 
limited to, the infection prevention and control program, the QAPI 
program, the medical staff, nursing services, and pharmacy services.
    (ii) Document the evidence-based use of antibiotics in all 
departments and services of the CAH.
    (iii) Demonstrate improvements, including sustained improvements, 
in proper antibiotic use, such as through reductions in CDI and 
antibiotic resistance in all departments and services of the CAH.
    (3) The antibiotic stewardship program adheres to nationally 
recognized guidelines, as well as best practices, for improving 
antibiotic use.
    (4) The antibiotic stewardship program reflects the scope and 
complexity of the CAH services provided.
    (c) Standard: Leadership responsibilities. (1) The governing body, 
or responsible individual, must ensure all of the following:
    (i) Systems are in place and operational for the tracking of all 
infection surveillance, prevention and control, and antibiotic use 
activities, in order to demonstrate the implementation, success, and 
sustainability of such activities.
    (ii) All HAIs and other infectious diseases identified by the 
infection prevention and control program as well as antibiotic use 
issues identified by the antibiotic stewardship program are addressed 
in collaboration with the CAH's QAPI leadership.
    (2) The infection prevention and control professional(s) are 
responsible for:
    (i) The development and implementation of facility-wide infection 
surveillance, prevention, and control policies and procedures that 
adhere to nationally recognized guidelines.
    (ii) All documentation, written or electronic, of the infection 
prevention and control program and its surveillance, prevention, and 
control activities.
    (iii) Communication and collaboration with the CAH's QAPI program 
on infection prevention and control issues.
    (iv) Competency-based training and education of CAH personnel and 
staff, including medical staff, and, as applicable, personnel providing 
contracted services in the CAH, on the practical applications of 
infection prevention and control guidelines, policies and procedures.
    (v) The prevention and control of HAIs, including auditing of 
adherence to infection prevention and control policies and procedures 
by CAH personnel.
    (vi) Communication and collaboration with the antibiotic 
stewardship program.
    (3) The leader of the antibiotic stewardship program is responsible 
for:
    (i) The development and implementation of a facility-wide 
antibiotic stewardship program, based on nationally recognized 
guidelines, to monitor and improve the use of antibiotics.
    (ii) All documentation, written or electronic, of antibiotic 
stewardship program activities.
    (iii) Communication and collaboration with medical staff, nursing, 
and pharmacy leadership, as well as the CAH's infection prevention and 
control and QAPI programs, on antibiotic use issues.
    (iv) Competency-based training and education of CAH personnel and 
staff, including medical staff, and, as applicable, personnel providing 
contracted services in the CAHs, on the practical applications of 
antibiotic stewardship guidelines, policies, and procedures.
0
14. Section 485.641 is revised to read as follows:


Sec.  485.641  Condition of participation: Quality assessment and 
performance improvement program.

    The CAH must develop, implement, and maintain an effective, 
ongoing, CAH-wide, data-driven quality assessment and performance 
improvement (QAPI) program. The CAH must maintain and demonstrate 
evidence of the effectiveness of its QAPI program.
    (a) Definitions. For the purposes of this section:
    Adverse event means an untoward, undesirable, and usually 
unanticipated event that causes death or serious injury or the risk 
thereof.
    Error means the failure of a planned action to be completed as 
intended or the use of a wrong plan to achieve an aim. Errors can 
include problems in practice, products, procedures, and systems; and
    Medical error means an error that occurs in the delivery of 
healthcare services.
    (b) Standard: QAPI program design and scope. The CAH's QAPI program 
must:
    (1) Be appropriate for the complexity of the CAH's organization and 
services provided.
    (2) Be ongoing and comprehensive.
    (3) Involve all departments of the CAH and services (including 
those services furnished under contract or arrangement).
    (4) Use objective measures to evaluate its organizational 
processes, functions and services.
    (5) Address outcome indicators related to improved health outcomes 
and the prevention and reduction of medical errors, adverse events, 
CAH-acquired conditions, and transitions of care, including 
readmissions.
    (c) Standard: Governance and leadership. The CAH's governing body 
or responsible individual is ultimately responsible for the CAH's QAPI 
program and is responsible and accountable for ensuring that the QAPI 
program meets the requirements of paragraph (b) of this section and 
that:
    (1) Clear expectations for safety are communicated, implemented, 
and followed throughout the CAH.
    (2) The QAPI efforts address priorities for improved quality of 
care and patient safety.
    (3) All improvement actions are evaluated and modified as needed.
    (4) Adequate resources are allocated for measuring, assessing, 
improving,

[[Page 39480]]

and sustaining the CAH's performance and reducing risk to patients.
    (5) The determination of the number of distinct improvement 
projects is made annually.
    (6) The CAH develops and implements policies and procedures for 
QAPI that address what actions the CAH staff should take to prevent and 
report unsafe patient care practices, medical errors, and adverse 
events.
    (d) Standard: Program activities. For each of the areas listed in 
paragraph (b) and (c) of this section, the CAH must:
    (1) Focus on measures related to improved health outcomes that are 
shown to be predictive of desired patient outcomes.
    (2) Use the measures to analyze and track its performance.
    (3) Set priorities for performance improvement, considering either 
high-volume, high-risk services, or problem-prone areas.
    (e) Performance improvement projects. As part of its QAPI program, 
the CAH must:
    (1) Conduct performance improvement projects. The number and scope 
of the distinct improvement projects conducted must be proportional to 
the scope and complexity of the CAH's services and operations.
    (2) The CAH maintains and demonstrates written or electronic 
evidence and documentation of its QAPI projects.
    (f) Standard: Program data collection and analysis. (1) The program 
must incorporate quality indicator data including patient care data, 
and other relevant data, such as data submitted to or received from 
national quality reporting and quality performance programs including 
but not limited to data related to hospital readmissions and hospital-
acquired conditions.
    (2) The CAH must use the data collected to:
    (i) Monitor the effectiveness and safety of services provided and 
quality of care.
    (ii) Identify opportunities for improvement and changes that will 
lead to improvement.
    (3) The frequency and detail of data collection must be approved by 
the CAH's governing body or responsible individual.
0
15. Section 485.645 is amended by revising the introductory text to 
read as follows:


Sec.  485.645  Special requirements for CAH providers of long-term care 
services (``swing-beds'').

    A CAH must meet the following requirements in order to be granted 
an approval from CMS to provide post-CAH SNF care, as specified in 
Sec.  409.30 of this chapter, and to be paid for SNF-level services, in 
accordance with paragraph (c) of this section.
* * * * *

    Dated: January 28, 2016.
Andrew M. Slavitt,
Acting Administrator, Centers for Medicare & Medicaid Services.
    Dated: May 11, 2016.
Sylvia M. Burwell,
Secretary, Department of Health and Human Services.
[FR Doc. 2016-13925 Filed 6-13-16; 4:15 pm]
BILLING CODE 4120-01-P



                                                                                                            Vol. 81                           Thursday,
                                                                                                            No. 116                           June 16, 2016




                                                                                                            Part IV


                                                                                                            Department of Health and Human Services
                                                                                                            Centers for Medicare & Medicaid Services
                                                                                                            42 CFR Parts 482 and 485
                                                                                                            Medicare and Medicaid Programs; Hospital and Critical Access Hospital
                                                                                                            (CAH) Changes To Promote Innovation, Flexibility, and Improvement in
                                                                                                            Patient Care; Proposed Rule
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                 VerDate Sep<11>2014   19:01 Jun 15, 2016   Jkt 238001   PO 00000   Frm 00001   Fmt 4717   Sfmt 4717   E:\FR\FM\16JNP3.SGM   16JNP3


                                                      39448                   Federal Register / Vol. 81, No. 116 / Thursday, June 16, 2016 / Proposed Rules

                                                      DEPARTMENT OF HEALTH AND                                following addresses prior to the close of              Acronyms
                                                      HUMAN SERVICES                                          the comment period:
                                                                                                                 a. For delivery in Washington, DC—                    Because of the many terms to which
                                                      Centers for Medicare & Medicaid                         Centers for Medicare & Medicaid                        we refer by acronym in this proposed
                                                      Services                                                Services, Department of Health and                     rule, we are listing the acronyms used
                                                                                                              Human Services, Room 445–G, Hubert                     and their corresponding meanings in
                                                      42 CFR Parts 482 and 485                                H. Humphrey Building, 200                              alphabetical order below:
                                                                                                              Independence Avenue SW.,                               AAPA American Academy of Physician
                                                      [CMS–3295–P]
                                                                                                              Washington, DC 20201.                                      Assistants
                                                      RIN 0938–AS21                                              (Because access to the interior of the              ACA Affordable Care Act
                                                                                                              Hubert H. Humphrey Building is not                     AOA American Osteopathic Association
                                                      Medicare and Medicaid Programs;                         readily available to persons without                   APIC Association for Professionals in
                                                      Hospital and Critical Access Hospital                   Federal government identification,                         Infection Control and Epidemiology, Inc.
                                                      (CAH) Changes To Promote                                                                                       APRN Advanced Practice Registered Nurse
                                                                                                              commenters are encouraged to leave
                                                      Innovation, Flexibility, and                                                                                   AS Antibiotic Stewardship
                                                                                                              their comments in the CMS drop slots                   BBA Balanced Budget Act
                                                      Improvement in Patient Care                             located in the main lobby of the                       CAHs Critical Access Hospitals
                                                                                                              building. A stamp-in clock is available                CARB Combating Antibiotic-Resistant
                                                      AGENCY:  Centers for Medicare &
                                                                                                              for persons wishing to retain a proof of                   Bacteria
                                                      Medicaid Services (CMS), HHS.
                                                                                                              filing by stamping in and retaining an                 CARE Continuity Assessment Record &
                                                      ACTION: Proposed rule.                                  extra copy of the comments being filed.)                   Evaluation
                                                                                                                 b. For delivery in Baltimore, MD—                   CBIC Certification Board of Infection
                                                      SUMMARY:    This proposed rule would                                                                               Control and Epidemiology Inc.
                                                      update the requirements that hospitals                  Centers for Medicare & Medicaid
                                                                                                              Services, Department of Health and                     CDI Clostridium Difficile Infections
                                                      and critical access hospitals (CAHs)                                                                           CHA Children’s Health Act
                                                                                                              Human Services, 7500 Security
                                                      must meet to participate in the Medicare                                                                       CIHQ Center for Improvement in Healthcare
                                                                                                              Boulevard, Baltimore, MD 21244–1850.
                                                      and Medicaid programs. These                               If you intend to deliver your
                                                                                                                                                                         Quality
                                                      proposals are intended to conform the                                                                          CLABSIs Central Line-Associated
                                                                                                              comments to the Baltimore address, call                    Bloodstream Infections
                                                      requirements to current standards of                    telephone number (410) 786–9994 in
                                                      practice and support improvements in                                                                           CPOE Computerized Provider Order Entry
                                                                                                              advance to schedule your arrival with                  CoPs Conditions of Participation
                                                      quality of care, reduce barriers to care,               one of our staff members.                              DNV–GL DNV–GL Healthcare
                                                      and reduce some issues that may                            Comments erroneously mailed to the                  DO Doctor of Osteopathy
                                                      exacerbate workforce shortage concerns.                 addresses indicated as appropriate for                 DRA Deficit Reduction Act
                                                      DATES: To be assured consideration,                     hand or courier delivery may be delayed                EM Emergency Medicine
                                                      comments must be received at one of                     and received after the comment period.                 EHRs Electronic Health Records
                                                      the addresses provided below, no later                     For information on viewing public                   EWRs Executive WalkRounds
                                                      than 5 p.m. on August 15, 2016.                         comments, see the beginning of the                     FDA Food and Drug Administration
                                                                                                                                                                     HACs Hospital-Acquired Conditions
                                                      ADDRESSES: In commenting, please refer                  SUPPLEMENTARY INFORMATION section.
                                                                                                                                                                     HAIs Healthcare-Associated Infections
                                                      to file code CMS–3295–P. Because of                     FOR FURTHER INFORMATION CONTACT: CDR                   HFAP Healthcare Facilities Accreditation
                                                      staff and resource limitations, we cannot               Scott Cooper, USPHS, (410) 786–9465,                       Program
                                                      accept comments by facsimile (FAX)                      Mary Collins, (410) 786–3189, Alpha-                   HICPAC Healthcare Infection Control
                                                      transmission.                                           Banu Huq, (410) 786–8687, Lisa Parker,                     Practices Advisory Committee
                                                         You may submit comments in one of                    (410) 786–4665.                                        ICP Infection Control Professional
                                                      four ways (please choose only one of the                SUPPLEMENTARY INFORMATION:                             IDSA Infectious Diseases Society of
                                                      ways listed):                                              Inspection of Public Comments: All                      America
                                                         1. Electronically. You may submit                                                                           IGs Interpretive Guidelines
                                                                                                              comments received before the close of
                                                                                                                                                                     IOM Institute of Medicine
                                                      electronic comments on this regulation                  the comment period are available for                   IPPS Inpatient Prospective Payment System
                                                      to http://www.regulations.gov. Follow                   viewing by the public, including any                   IT Information Technology
                                                      the ‘‘Submit a comment’’ instructions.                  personally identifiable or confidential                LGBT Lesbian, Gay, Bisexual, and
                                                         2. By regular mail. You may mail                     business information that is included in                   Transgender
                                                      written comments to the following                       a comment. We post all comments                        LIP Licensed Independent Practitioner
                                                      address ONLY: Centers for Medicare &                    received before the close of the                       MBQIP Medicare Beneficiary Quality
                                                      Medicaid Services, Department of                        comment period on the following Web                        Improvement Project
                                                      Health and Human Services, Attention:                   site as soon as possible after they have               MD Doctor of Medicine
                                                      CMS–3295–P, P.O. Box 8010, Baltimore,                   been received: http://                                 MDROs Multi-Drug Resistant Organisms
                                                                                                                                                                     MedPAC Medicare Payment Advisory
                                                      MD 21244.                                               www.regulations.gov. Follow the search                     Commission
                                                         Please allow sufficient time for mailed              instructions on that Web site to view                  MRHFP Medicare Rural Hospital Flexibility
                                                      comments to be received before the                      public comments.                                           Program
                                                      close of the comment period.                               Comments received timely will also                  NHSN National Healthcare Safety Network
                                                         3. By express or overnight mail. You                 be available for public inspection as                  NQF National Quality Forum
                                                      may send written comments to the                        they are received, generally beginning                 OBRA Omnibus Budget Reconciliation Act
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                                                      following address ONLY: Centers for                     approximately 3 weeks after publication                OCR Office for Civil Rights
                                                      Medicare & Medicaid Services,                           of a document, at the headquarters of                  OIG Office of Inspector General
                                                      Department of Health and Human                          the Centers for Medicare & Medicaid                    PA Physician Assistant
                                                                                                              Services, 7500 Security Boulevard,                     PCP Primary Care Provider
                                                      Services, Attention: CMS–3295–P, Mail
                                                                                                                                                                     PN Parenteral Nutrition
                                                      Stop C4–26–05, 7500 Security                            Baltimore, Maryland 21244, Monday                      QAPI Quality Assessment and Performance
                                                      Boulevard, Baltimore, MD 21244–1850.                    through Friday of each week from 8:30                      Improvement
                                                         4. By hand or courier. Alternatively,                a.m. to 4 p.m. To schedule an                          QIO Quality Improvement Organization
                                                      you may deliver (by hand or courier)                    appointment to view public comments,                   RDs Registered Dietitians
                                                      your written comments ONLY to the                       phone 1–800–743–3951.                                  RPCHs Rural Primary Care Hospitals



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                                                                              Federal Register / Vol. 81, No. 116 / Thursday, June 16, 2016 / Proposed Rules                                           39449

                                                      SHEA Society for Healthcare Epidemiology                inappropriate antibiotic use and                       and include specific, process oriented
                                                         of America                                           antimicrobial resistance; and                          requirements for each hospital or CAH
                                                      TJC The Joint Commission                                  • The use of quality reporting                       service or department. The purposes of
                                                      VBP Value-Based Purchasing                              program data by hospital Quality                       these conditions are to protect patient
                                                      Table of Contents                                       Assessment and Performance                             health and safety and to ensure that
                                                                                                              Improvement (QAPI) programs.                           quality care is furnished to all patients
                                                        This proposed rule is organized as                                                                           in Medicare-participating hospitals and
                                                      follows:                                                B. Statutory Basis and Purpose of the
                                                                                                              Conditions of Participation for Hospitals              CAHs. In accordance with Section 1864
                                                      I. Background
                                                                                                              and Critical Access Hospitals                          of the Act, State surveyors assess
                                                         A. Executive Summary                                                                                        hospital and CAH compliance with the
                                                         B. Statutory Basis and Purpose of the                   Sections 1861(e)(1) through (8) of the              conditions as part of the process of
                                                            Conditions of Participation for Hospitals         Social Security Act (the Act) provide                  determining whether a hospital qualifies
                                                            and Critical Access Hospitals                     that a hospital participating in the                   for a provider agreement under
                                                         C. Why revise the conditions of                      Medicare program must meet certain
                                                            participation?                                                                                           Medicare. However, under section 1865
                                                                                                              specified requirements. Section                        of the Act, hospitals and CAHs can elect
                                                      II. Provisions of the Proposed Regulation
                                                         A. Patient’s Rights
                                                                                                              1861(e)(9) of the Act specifies that a                 to be reviewed instead by private
                                                         1. Non-Discrimination                                hospital also must meet such other                     accrediting organizations approved by
                                                         2. Licensed Independent Practitioner                 requirements as the Secretary finds                    CMS as having standards that meet or
                                                         3. Patient’s Access to Medical Records               necessary in the interest of the health                exceed the applicable Medicare
                                                         B. Quality Assessment and Performance                and safety of individuals furnished                    standards and survey procedures
                                                            Improvement                                       services in the institution. Under this                comparable to those CMS requires for
                                                         C. Nursing Services                                  authority, the Secretary has established               State survey agencies. CMS-approved
                                                         D. Medical Record Services                           regulatory requirements that a hospital                hospital and CAH accrediting programs
                                                         E. Infection Prevention and Control and              must meet to participate in Medicare at
                                                            Antibiotic Stewardship Programs                                                                          include those of The Joint Commission
                                                                                                              42 CFR part 482, CoPs for Hospitals.                   (TJC), the American Osteopathic
                                                         F. Technical Corrections
                                                         G. Critical Access Hospitals
                                                                                                              Section 1905(a) of the Act provides that               Association/Healthcare Facilities
                                                         1. Organizational Structure                          Medicaid payments from States may be                   Accreditation Program (AOA/HFAP),
                                                         2. Periodic Review of Clinical Privileges            applied to hospital services. Under                    and DNV–GL Healthcare (DNV–GL) (See
                                                            and Performance                                   regulations at 42 CFR 440.10(a)(3)(iii)                42 CFR part 488, Survey and
                                                         3. Provision of Services                             and 42 CFR 440.20(a)(3)(ii), hospitals                 Certification Procedures). The Center for
                                                         4. Infection Prevention and Control and              are required to meet the Medicare CoPs                 Improvement in Healthcare Quality
                                                            Antibiotic Stewardship Programs                   in order to participate in Medicaid.                   (CIHQ) also has a CMS-approved
                                                         5. Quality Assessment and Performance                   On May 26, 1993, CMS published a                    hospital accrediting program.
                                                            Improvement Program                               final rule in the Federal Register
                                                         6. Technical Corrections                             entitled ‘‘Medicare Program; Essential                 C. Why revise the conditions of
                                                      III. Collection of Information Requirements                                                                    participation?
                                                                                                              Access Community Hospitals (EACHs)
                                                      IV. Response to Comments
                                                      V. Regulatory Impacts                                   and Rural Primary Care Hospitals                          CMS is aware, through conversations
                                                      VI. Regulations Text                                    (RPCHs)’’ (58 FR 30630) that                           with stakeholders and federal partners,
                                                                                                              implemented sections 6003(g) and 6116                  and as a result of internal evaluation
                                                      I. Background                                           of the Omnibus Budget Reconciliation                   and research, of continuing concerns
                                                      A. Executive Summary                                    Act (OBRA) of 1989 and section 4008(d)                 about the conditions of participation for
                                                                                                              of OBRA 1990. That rule established                    hospitals and CAHs despite recent
                                                         These proposed changes would                         requirements for the EACH and RPCH                     revisions to the CoPs. We believe that
                                                      modernize hospital and critical access                  providers that participated in the seven-              the proposed revisions would address
                                                      hospital (CAH) requirements, improve                    state demonstration program that was                   many of those concerns. In addition,
                                                      quality of care, and support HHS and                    designed to improve access to hospital                 modernization of the requirements
                                                      CMS priorities. We believe that benefits                and other health services for rural                    would cumulatively result in improved
                                                      of the proposed revisions would                         residents.                                             quality of care and improved outcomes
                                                      include; reduced incidence of hospital-                    Sections 1820 and 1861(mm) of the                   for all hospital and CAH patients. We
                                                      acquired conditions (HACs), including                   Act, as amended by section 4201 of the                 believe that benefits would include
                                                      reduced incidence of healthcare-                        Balanced Budget Act (BBA) of 1997,                     reduced readmissions, reduced
                                                      associated infections (HAIs); reduced                   replaced the EACH/RPCH program with                    incidence of hospital-acquired
                                                      inappropriate antibiotic use; and                       the Medicare Rural Hospital Flexibility                conditions (including healthcare-
                                                      strengthened patient protections overall.               Program (MRHFP), under which a                         associated infections), improved use of
                                                      Specifically, we propose to revise the                  qualifying facility can be designated and              antibiotics at reduced costs (including
                                                      conditions of participation (CoPs) for                  certified as a CAH. CAHs participating                 the potential for reduced antibiotic
                                                      hospitals and CAHs to address:                          in the MRHFP must meet the conditions                  resistance), and improved patient and
                                                         • Discriminatory behavior by                         for designation specified in the statute               workforce protections.
                                                      healthcare providers that may create                    under section 1820(c)(2)(B) of the Act,                   These benefits are consistent with
                                                      real or perceived barriers to care;                     and to be certified must also meet other               current HHS Quality Initiatives,
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                                                         • Use of the term ‘‘Licensed                         criteria the Secretary may require, under              including efforts to prevent HAIs; the
                                                      Independent Practitioners’’ (LIPs) that                 section 1820(e)(3) of the Act. Under this              national action plan for adverse drug
                                                      may inadvertently exacerbate workforce                  authority, the Secretary has established               event (ADE) prevention; the national
                                                      shortage concerns;                                      regulatory requirements that a CAH                     strategy for Combating Antibiotic-
                                                         • Requirements that do not fully                     must meet to participate in Medicare at                Resistant Bacteria (CARB); and the
                                                      conform to current standards for                        42 CFR part 485, subpart F.                            Department’s National Quality Strategy
                                                      infection control;                                         The CoPs for hospitals and CAHs are                 (http://www.ahrq.gov/
                                                         • Requirements for antibiotic                        organized according to the types of                    workingforquality/index.html). The
                                                      stewardship programs to help reduce                     services a hospital or CAH may offer,                  National Action Plan for Combating


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                                                      39450                   Federal Register / Vol. 81, No. 116 / Thursday, June 16, 2016 / Proposed Rules

                                                      Antibiotic-Resistant Bacteria, which                    Rehabilitation Act of 1973, as                         abuse, and disrespectful behavior, as
                                                      was developed by the interagency Task                   implemented by 45 CFR part 84; the Age                 well as many other forms of failure to
                                                      Force for Combating Antibiotic-                         Discrimination Act of 1975, as                         provide adequate care (Eliason and
                                                      Resistant Bacteria in response to                       implemented by 45 CFR part 90; Section                 Schope, 2001; Kenagy, 2005; Scherzer,
                                                      Executive Order 13676: ‘‘Combating                      1557 of the Patient Protection and                     2000; Sears, 2009 as cited in Institute of
                                                      Antibiotic-Resistant Bacteria,’’ (79 FR                 Affordable Care Act of 2010 (Pub. L.                   Medicine. The Health of Lesbian, Gay,
                                                      56931, Sept. 23, 2014), outlines steps for              111–148) (Section 1557); and other                     Bisexual, and Transgender People:
                                                      implementing the National Strategy on                   pertinent requirements enforced by the                 Building a Foundation for Better
                                                      Combating Antibiotic-Resistant Bacteria                 HHS Office for Civil Rights (OCR) (see                 Understanding. Washington, DC: The
                                                      and addressing the policy                               42 CFR 489.10(b)). Title VI prohibits                  National Academies Press, 2011.)
                                                      recommendations of the President’s                      discrimination based on race, color, and                  Perceived discriminatory behavior
                                                      Council of Advisors on Science and                      national origin. Section 504 prohibits                 among African-American and white
                                                      Technology report on Combating                          discrimination based on disability. The                patients treated for osteoarthritis by
                                                      Antibiotic Resistance. The Action Plan                  Age Act prohibits discrimination based                 orthopedic surgeons in two Veterans
                                                      includes activities to foster                           on age. Section 1557 of the Affordable                 Affairs facilities negatively affected
                                                      improvements in the appropriate use of                  Care Act prohibits discrimination on all               patient-provider communications
                                                      antibiotics (that is, antibiotic                        of these bases and is the first federal                (Leslie R.M. Hausmann, Ph.D., Michael
                                                      stewardship) by improving prescribing                   civil rights law to prohibit                           J. Hannon, MA, Denise M. Kresevic, RN,
                                                      practices across all healthcare settings,               discrimination based on sex, including                 Ph.D., Barbara H. Hanusa, Ph.D., C. Kent
                                                      particularly establishment of                           gender identity, in covered health                     Kwoh, MD, and Said A. Ibrahim, MD,
                                                      antimicrobial stewardship programs in                   programs and activities. In addition, the              MPH. Med Care. 2011 July; 49(7): 626–
                                                      all acute care hospitals by 2020 (https://              Hospital and CAH Conditions of                         633). Tracy MacIntosh et al report that
                                                      www.whitehouse.gov/the-press-office/                    Participation (CoPs) require that                      racial/ethnic minorities who reported
                                                      2015/03/27/fact-sheet-obama-                            hospitals and CAHs be in compliance                    being socially-assigned as white are
                                                      administration-releases-national-action-                with applicable Federal laws related to                more likely to receive preventive
                                                      plan-combat-ant). Our proposal to                       the health and safety of patients.                     vaccinations and less likely to report
                                                      require hospitals to establish and                      However, there is currently no explicit                healthcare discrimination compared
                                                      maintain antibiotic stewardship                         prohibition of discrimination contained                with those who are socially-assigned as
                                                      programs would directly support this                    within the Hospital and CAH CoPs. We                   minority. (MacIntosh T, Desai MM,
                                                      goal. In addition, principles of the                    have been made aware that the historic                 Lewis TT, Jones BA, Nunez-Smith M
                                                      National Quality Strategy supported by                  lack of an explicit prohibition within                 (2013) Socially-Assigned Race,
                                                      this proposed rule include eliminating                  the CoPs, and, in particular, the lack of              Healthcare Discrimination and
                                                      disparities in care, improving quality,                 civil rights protections regarding                     Preventive Healthcare Services. PLoS
                                                      promoting consistent national standards                 hospital patients’ gender identities, is               ONE 8(5): e64522. doi:10.1371/
                                                      while maintaining support for local,                    regarded as having been a barrier to                   journal.pone.0064522). In a 2012 study,
                                                      community, and State-level activities                   seeking care by individuals who fear                   the authors found that African-
                                                      that are responsive to local                            such discrimination. Discriminatory                    American and Asian immigrant
                                                      circumstances; care coordination, and                   behavior, or even the fear of                          participants reported experiencing
                                                      providing patients, providers, and                                                                             different forms of medical
                                                                                                              discriminatory behavior, by healthcare
                                                      payers with the clear information they                                                                         discrimination related to class, race, and
                                                                                                              providers remains an issue and can
                                                      need to make choices that are right for                                                                        language. (Thu Quach, Ph.D., MPH,
                                                                                                              create barriers to care and result in
                                                      them (http://www.ahrq.gov/                                                                                     Amani Nuru-Jeter, Ph.D., MPH, Pagan
                                                                                                              adverse outcomes for patients.
                                                      workingforquality/nqs/principles.htm).                                                                         Morris, MPH, Laura Allen, BA, Sarah J.
                                                                                                              Numerous studies address the impact of
                                                      Our proposal to prohibit discrimination                                                                        Shema, MS, June K. Winters, BA, Gem
                                                                                                              discrimination or perceived
                                                      would support eliminating disparities in                                                                       M. Le, Ph.D., MHS, and Scarlett Lin
                                                                                                              discrimination on individuals seeking
                                                      care, and we believe our proposals                                                                             Gomez, Ph.D. Am J Public Health.
                                                                                                              healthcare. Discrimination can be based
                                                      about QAPI and infection prevention                                                                            2012;102:1027–1034. doi:10.2105/
                                                                                                              on sexual orientation, racial or ethnic
                                                      and control and antibiotic stewardship                                                                         AJPH.201.1300554).
                                                                                                              background, or other factors. The                         Because discriminatory behavior can
                                                      programs would improve quality and
                                                                                                              Institute of Medicine (IOM) noted in its               affect perceived and actual access to and
                                                      promote consistent national standards.
                                                                                                              2011 report The Health of Lesbian, Gay,                effectiveness of healthcare delivery, we
                                                      Our proposals regarding nursing
                                                                                                              Bisexual, and Transgender People:                      propose to establish explicit
                                                      services and the term ‘‘licensed
                                                                                                              Building a Foundation for Better                       requirements that a hospital not
                                                      independent practitioners’’ would
                                                                                                              Understanding that many lesbian, gay,                  discriminate on the basis of race, color,
                                                      support care coordination and quality of
                                                                                                              bisexual, and transgender (LGBT)                       national origin, sex (including gender
                                                      care. In sum, we believe our proposed
                                                                                                              people refrain from disclosing their                   identity), age, or disability and that the
                                                      changes are necessary, timely, and
                                                      beneficial.                                             sexual orientation or gender identity to               hospital establish and implement a
                                                                                                              researchers and health care providers.                 written policy prohibiting
                                                      II. Provisions of the Proposed Rule                     The report goes on to note that:                       discrimination on the basis of race,
                                                      A. Patient’s Rights (§ 482.13)                             Some LGBT individuals face                          color, national origin, sex (including
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                                                                                                              discrimination in the health care system               gender identity), age, or disability. We
                                                      1. Non-Discrimination                                   that can lead to an outright denial of                 are proposing these requirements to
                                                         One of the basic requirements for                    care or to the delivery of inadequate                  ensure nondiscrimination as required by
                                                      providers who participate in the                        care. There are many examples of                       Section 1557 of the Affordable Care Act,
                                                      Medicare program is that, they must                     manifestations of enacted stigma against               which prohibits health programs and
                                                      agree to meet the applicable civil rights               LGBT individuals by health care                        activities that receive federal financial
                                                      requirements of Title VI of the Civil                   providers. LGBT individuals have                       assistance, such as Medicare and
                                                      Rights Act of 1964, as implemented by                   reported experiencing refusal of                       Medicaid, from excluding or denying
                                                      45 CFR part 80; section 504 of the                      treatment by health care staff, verbal                 beneficiaries participation based on


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                                                                              Federal Register / Vol. 81, No. 116 / Thursday, June 16, 2016 / Proposed Rules                                           39451

                                                      their race, color, national origin, sex                 statement regarding the requirements at                policy, which we stated is a prerequisite
                                                      (including gender identity), age, or                    § 482.13(e)(5) that would identify which               for this type of order.’’
                                                      disability. In addition, we believe that                practitioners could order restraint or                    After publication of the final rule in
                                                      discrimination by a hospital based on a                 seclusion in a hospital (77 FR 29043).                 May of 2012, we became aware of the
                                                      patient’s religion or sexual orientation                The commenter noted that the current                   concerns of the American Academy of
                                                      can potentially lead to a denial of                     requirements use the term ‘‘LIP’’ and                  Physician Assistants (AAPA) regarding
                                                      services or inadequate care in the                      that this has been interpreted by many                 this issue, both through
                                                      hospital, which is detrimental to the                   hospitals to mean that a physician                     communications from the AAPA and
                                                      patient’s health and safety. We are                     assistant (PA) could not order restraint               through the AAPA’s submissions in
                                                      therefore also proposing to establish                   and/or seclusion. The commenter                        response to the Secretary’s Request for
                                                      explicit requirements that a hospital not               expressed opposition to this                           Regulatory Issues Unfairly Impacting
                                                      discriminate on the basis of religion or                interpretation and suggested instead                   Rural Providers. The AAPA maintains
                                                      sexual orientation and that a hospital                  that CMS clarify that, where permitted                 that ‘‘‘Licensed Independent
                                                      establish and implement a written                       by State law, a physician would be                     Practitioner’ is not a term used in the
                                                      policy prohibiting discrimination on the                permitted to delegate the ordering of                  Social Security Act, nor in any other
                                                      basis of religion or sexual orientation.                such measures to a physician assistant.                federal law,’’ and that ‘‘the LIP
                                                      We are doing so under the statutory                     The commenter also requested that CMS                  terminology is, at best, confusing
                                                      authority of Section 1861(e)(9) of the                  provide a clarifying statement that PAs                regarding physician assistants’ ability to
                                                      Act, which specifies that a hospital                    would be authorized to order restraint                 order [restraint and seclusion]; at worst,
                                                      ‘‘must also meet other requirements as                  and seclusion.                                         it restricts the ability of hospitals to
                                                      the Secretary finds necessary in the                       Our response to this comment in the                 utilize PAs to the extent of their
                                                      interest of the health and safety of                    final rule referred to Appendix A of the               educational preparation and scope of
                                                      individuals who are furnished services                  State Operations Manual, CMS Pub.                      practice, as determined by state law.’’
                                                      in the facility.’’ As noted, substantial                100–07, regarding § 482.13(e)(5), which                The AAPA further contends that
                                                      academic research demonstrates that                     provides, ‘‘For the purpose of ordering                ‘‘‘independent’ practice is not a measure
                                                      discrimination on the basis of sexual                   restraint or seclusion, an LIP is any                  of a healthcare professional’s
                                                      orientation is inconsistent with the                    practitioner permitted by State law and                educational preparation, competency, or
                                                      health and safety of patients, as this may              hospital policy as having the authority                ability to provide quality medical care,’’
                                                      lead to a denial of services not justified              to independently order restraints or                   and that ‘‘the LIP terminology is
                                                      by a medically appropriate rationale.                   seclusion for patients.’’ We also stated               inconsistent with the movement toward
                                                         We propose to further require that                   in our response in the final rule that, ‘‘if           team-based health care delivery, as well
                                                      each patient, and/or representative, and/               an individual physician assistant (PA)                 as the need to fully utilize the
                                                      or support person, where appropriate, is                was authorized by State law and                        healthcare workforce.’’
                                                      informed, in a language he or she can                   hospital policy to independently order                    In drafting this proposed rule, we took
                                                      understand, of the right to be free from                restraints or seclusion for patients, then             these arguments into careful
                                                      discrimination against them on any of                   that PA could do so within the hospital.               consideration. We also reviewed the
                                                      these bases when he or she is informed                  However, since PAs have traditionally                  Children’s Health Act (CHA) of 2000
                                                      of his or her other rights under § 482.13.              defined themselves as ‘physician-                      (Pub. L. 106–310), which necessitated
                                                      In addition, we propose to require that                 dependent’ practitioners (as opposed to                the changes to the Patients’ Rights CoP
                                                      the hospital inform the patient and/or                  APRNs, who see themselves as                           § 482.13, as well as the 2006 final rule
                                                      representative, and/or support person,                  independent practitioners), it is unlikely             that implemented these changes, and
                                                      on how he or she can seek assistance if                 that a PA would be authorized by State                 determined that the term ‘‘licensed
                                                      they encounter discrimination. A                        law and hospital policy to                             independent practitioner’’ was carried
                                                      patient’s ‘‘support person’’ does not                   ‘independently’ order restraints or                    over into the CoPs from an earlier
                                                      necessarily have to be the patient’s                    seclusions for patients (as would be                   version of the bill that eventually
                                                      representative who is legally                           likely for licensed independent                        became law as the CHA. The CHA only
                                                      responsible for making medical                          practitioners such as physicians,                      uses the term ‘‘other licensed
                                                      decisions on the patient’s behalf. A                    APRNs, and clinical psychologists). The                practitioner,’’ dropping the
                                                      support person could be a family                        supervising physician-PA team concept                  ‘‘independent’’ modifier. Taking this
                                                      member, friend, or other individual who                 (and PA practice dependence on the                     into consideration, we are proposing to
                                                      is there to support the patient during the              supervising physician) is supported by                 delete the modifying term
                                                      course of the stay. We discuss the                      the American Academy of Physician                      ‘‘independent’’ from the CoP at
                                                      meaning of ‘‘support person’’ in the                    Assistants’ description of the PA                      § 482.13(e)(5), as well as at
                                                      preamble to the final rule, ‘‘Medicare                  profession:                                            § 482.13(e)(8)(ii), and also propose to
                                                      and Medicaid Programs: Changes to the                      ‘Physician assistants are health                    revise the provision to be in keeping
                                                      Hospital and Critical Access Hospital                   professionals licensed or, in the case of              with the language of the CHA regarding
                                                      Conditions of Participation To Ensure                   those employed by the federal                          restraint and seclusion orders and
                                                      Visitation Rights for All Patients’’ (75                government, credentialed to practice                   licensed practitioners. Therefore, we are
                                                      FR 70833, November 19, 2010).                           medicine with physician supervision’                   proposing that § 482.13(e)(5) would now
                                                                                                              (American Academy of Physician                         read that the use of restraint or
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                                                      2. Licensed Independent Practitioners                   Assistants. (2009–2010). Policy Manual.                seclusion must be in accordance with
                                                         On May 16, 2012, we published a                      Alexandria, VA.).                                      the order of a physician or other
                                                      final rule entitled ‘‘Medicare and                         Moreover, a PA would not be allowed                 licensed practitioner who is responsible
                                                      Medicaid Programs: Reform of Hospital                   to order restraints or seclusion if the                for the care of the patient and
                                                      and Critical Access Hospital Conditions                 only authority to do so was delegated by               authorized to order restraint or
                                                      of Participation’’ (77 FR 29034). Within                a physician since this physician-                      seclusion by hospital policy in
                                                      the section of this rule discussing the                 delegated authority would establish that               accordance with State law. We are also
                                                      changes to § 482.13, one commenter                      the PA was not independently                           proposing that § 482.13(e)(8)(ii) would
                                                      requested that CMS make a clarifying                    authorized by State law and hospital                   state that, after 24 hours, before writing


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                                                      39452                   Federal Register / Vol. 81, No. 116 / Thursday, June 16, 2016 / Proposed Rules

                                                      a new order for the use of restraint or                 medical records and must actively seek                 have made progress toward delivering
                                                      seclusion for the management of violent                 to meet these requests as quickly as its               safer, high-quality care.
                                                      or self-destructive behavior, a physician               record keeping system permits.                            The 2003 QAPI CoP final rule
                                                      or other licensed practitioner who is                   However, the requirements as they are                  provided a framework to implement
                                                      responsible for the care of the patient                 currently written do not take into                     Department of Health and Human
                                                      and authorized to order restraint or                    account that medical records may be                    Services initiatives designed to help
                                                      seclusion by hospital policy in                         maintained electronically, nor do the                  distinguish and avoid mistakes in the
                                                      accordance with State law would have                    requirements acknowledge that a patient                healthcare delivery system. The existing
                                                      to see and assess the patient.                          has the right to access these medical                  QAPI CoP requires each hospital to:
                                                         Other provisions in the current                      records in an electronic format. Ideally,                 • Develop, implement, maintain, and
                                                      requirements regarding restraint and                    the patient should be able to access their             evaluate its own QAPI program;
                                                      seclusion use the term ‘‘licensed                       medical records in a form or format                       • Establish a QAPI program that
                                                      independent practitioner’’, and we are                  requested by the patient, whether                      reflects the complexity of its
                                                      proposing to revise these provisions as                 electronically or in a hard copy format.               organization and services;
                                                      well. Section 482.13(e)(10), (e)(11),                   Therefore, we are proposing to clarify                    • Establish a QAPI program that
                                                      (e)(12)(i)(A), (e)(14), and (g)(4)(ii) all              the requirement at § 482.13(d)(2) to state             involves all hospital departments and
                                                      contain the term ‘‘licensed independent                 that the patient has the right to access               services and focuses on improving
                                                      practitioner.’’ Therefore, we are                                                                              health outcomes and preventing and
                                                                                                              their medical records, including current
                                                      proposing to change the term from                                                                              reducing medical errors; and
                                                                                                              medical records, upon an oral or written
                                                      ‘‘licensed independent practitioner’’ to                                                                          • Maintain and demonstrate evidence
                                                                                                              request, in the form and format                        of its QAPI program for review by CMS.
                                                      simply ‘‘licensed practitioner.’’ We are                requested by the individual, if it is
                                                      also proposing to remove the term                                                                                 We are proposing a minor change to
                                                                                                              readily producible in such form and                    the program data requirements at
                                                      ‘‘physician assistant’’ from the current                format (including in an electronic form
                                                      provisions at § 482.13(e)(12)(i)(B) and                                                                        § 482.21(b). Currently, we require that
                                                                                                              or format when such medical records                    hospitals incorporate quality indicator
                                                      (e)(14) because we believe its use in                   are maintained electronically); or, if not,
                                                      these instances distinguishes the role of                                                                      data including patient care data and
                                                                                                              in a readable hard copy form or such                   other relevant data (for example,
                                                      PAs from other licensed practitioners                   other form and format as agreed to by
                                                      (such as APRNs) in ways that are                                                                               information submitted to, or received
                                                                                                              the facility and the individual, within a              from, the hospital’s Quality
                                                      confusing and that restrict the ability of              reasonable time frame. OCR recently
                                                      hospitals to utilize PAs to the extent of                                                                      Improvement Organization) into their
                                                                                                              issued an FAQ document about medical                   QAPI programs. We propose to update
                                                      their educational preparation and scope                 records access clarifying that the
                                                      of practice. The current requirements                                                                          this requirement to reflect and capitalize
                                                                                                              requirement to send medical records to                 on the wealth of important quality data
                                                      severely limit a PA’s scope of practice                 the individual is within 30 days (or 60
                                                      in ways that currently do not apply to                                                                         available to hospitals through several
                                                                                                              days if an extension is applicable) after              quality data reporting programs.
                                                      an APRN practicing under the same                       receiving the request, ‘‘however, in most
                                                      circumstances. The AAPA has noted                                                                              Specifically, we propose to require that
                                                                                                              cases, it is expected that the use of                  the hospital QAPI program incorporate
                                                      that by limiting a PA’s scope of practice,              technology will enable the covered
                                                      the CoPs create a burden for hospitals,                                                                        quality indicator data including patient
                                                                                                              entity to fulfill the individual’s request             care data submitted to or received from
                                                      particularly small hospitals, and are                   in far fewer than 30 days.’’ (http://
                                                      contrary to state laws that allow PAs to                                                                       quality reporting and quality
                                                                                                              www.hhs.gov/hipaa/for-professionals/                   performance programs, including but
                                                      practice to the full extent of their
                                                                                                              privacy/guidance/access/                               not limited to data related to hospital
                                                      training and credentialing. PAs are
                                                                                                              #newlyreleasedfaqs). Individuals who                   readmissions and hospital-acquired
                                                      trained on a medical model that is
                                                                                                              have not been provided with their                      conditions. Most hospitals collect and
                                                      similar in content, if not duration, to
                                                                                                              medical records within the 30-day                      analyze data for several quality
                                                      that of physicians. Further, PA training
                                                                                                              timeframe required by HIPAA or who                     reporting and quality performance
                                                      and education is comparable in many
                                                                                                              experience other difficulties accessing                programs, such as the Hospital Inpatient
                                                      ways to that of APRNs and in some
                                                                                                              their medical records can file a                       Quality Reporting program, the Hospital
                                                      ways, more extensive. Therefore, we
                                                                                                              complaint with OCR at: http://                         Value-Based Purchasing Program, the
                                                      believe that PAs, like APRNs and
                                                      physicians, should not have to undergo                  www.hhs.gov/hipaa/filing-a-complaint/                  Hospital-Acquired Condition Reduction
                                                      additional training so that they can                    index.html.                                            Program, the Medicare and Medicaid
                                                      order restraint and seclusion. Therefore,               B. Quality Assessment and Performance                  Electronic Health Record Incentive
                                                      we are proposing to remove PAs from                     Improvement (QAPI) Program (§ 482.21)                  Programs, and the Hospital Outpatient
                                                      the two provisions noted above.                                                                                Quality Reporting program. Since a
                                                                                                                 On January 24, 2003, CMS published                  hospital is already collecting and
                                                      3. Patient Access to Medical Records                    a final rule in the Federal Register                   reporting quality measures data for
                                                         On December 8, 2006, CMS published                   entitled ‘‘Medicare and Medicaid                       these programs, we believe that it is
                                                      final regulations which established                     Programs; Hospital Conditions of                       efficient and cost-effective for a hospital
                                                      requirements for patient’s rights in                    Participation: Quality assessment and                  to include at least some of these data in
                                                      hospitals, and which included                           performance improvement (QAPI)’’ (68                   its QAPI program. The data are used to
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                                                      requirements for the confidentiality of                 FR 3435). The QAPI rule set a minimum                  calculate measures, which are generally
                                                      patient records at § 482.13(d) (71 FR                   requirement that each hospital                         endorsed by the National Quality Forum
                                                      71426). Specifically, § 482.13(d)(2)                    participating in the Medicare program                  (NQF). We believe the resulting data are
                                                      states that a patient has the right to                  systematically examine the quality of its              a valuable resource to hospitals that
                                                      access information contained in his or                  services and implement specific                        should be used in hospital QAPI
                                                      her clinical records within a reasonable                improvement projects on an ongoing                     programs.
                                                      time frame and that the hospital must                   basis. As a result of the QAPI rule, as                   While we are not proposing to require
                                                      not frustrate the legitimate efforts of                 well as other efforts and advancements                 that hospitals develop and implement
                                                      individuals to gain access to their own                 in the delivery of healthcare, hospitals               information technology (IT) systems as


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                                                                              Federal Register / Vol. 81, No. 116 / Thursday, June 16, 2016 / Proposed Rules                                             39453

                                                      part of their QAPI program, we                          departments would not be required to                   and any non-licensed personnel such as
                                                      encourage hospitals to use IT systems,                  have an RN physically present as well                  nurse aides, orderlies, or other nursing
                                                      including systems to exchange health                    as the alternative staffing plans that                 support personnel who are under the
                                                      information with other providers, that                  would be established under such a                      direction of the nursing service) which
                                                      are designed to improve patient safety                  policy. We would require such a policy                 occur within the responsibility of the
                                                      and quality of care. In addition, we                    to take into account factors such as the               nursing service, regardless of the
                                                      believe that those facilities that are                  services delivered, the acuity of patients             mechanism through which those
                                                      electronically capturing information                    typically served by the facility, and the              personnel are obtained. We recognize
                                                      should be doing so using certified                      established standards of practice for                  that there are a variety of arrangements
                                                      health IT that will enable real time                    such services. In addition, we would                   under which hospitals obtain the
                                                      electronic exchange with other                          propose that the policy must be                        services of licensed nurses. Mechanisms
                                                      providers. By using certified health IT,                approved by the medical staff and be                   may include direct employment, the use
                                                      facilities can ensure that they are                     reviewed at least once every three years.              of contract or agency nurses, a leasing
                                                      transmitting interoperable data that can                We welcome comments on the need for,                   agreement, volunteer services or some
                                                      be used by other settings, supporting a                 the risks of establishing, and the                     other arrangement. No matter how the
                                                      more robust care coordination and                       appropriate criteria we should require                 services of a licensed nurse are
                                                      higher quality of care for patients.                    for such an exception.                                 obtained, in order to ensure the health
                                                                                                                 We also propose to clarify in                       and safety of patients, all nurses must
                                                      C. Nursing Services (§ 482.23)                          paragraph (b)(4) (which currently                      know and adhere to the policies and
                                                         As a result of our internal review of                requires that the hospital must ensure                 procedures of the hospital and there
                                                      the CoPs for nursing services, we                       that the nursing staff develops, and                   must be adequate supervision and
                                                      recognized that some of our                             keeps current, a nursing care plan for                 evaluation of the clinical activities of all
                                                      requirements might be ambiguous and                     each patient and that the plan may be                  nursing personnel who provide services
                                                      confusing due to unnecessary                            part of an interdisciplinary care plan)                that occur within the responsibility of
                                                      distinctions between inpatient and                      that while a nursing care plan is needed               the nursing service. We would expect
                                                      outpatient services, or might fail to                   for every patient, the care plan should                non-licensed personnel to be supervised
                                                      account for the variety of ways through                 reflect the needs of the patient and the               by a licensed nurse.
                                                      which a hospital might meet its nurse                   nursing care to be provided to meet                      In addition, we propose to delete
                                                      staffing requirements. We propose to                    those needs. The care plan for a patient               inappropriate references to § 482.12(c)
                                                      make revisions to the nursing services                  with complex medical needs and a                       that are currently in paragraphs (c)(1)
                                                      CoP to improve clarity. Specifically, we                longer anticipated hospitalization may                 and (3). We discuss these technical
                                                      propose to revise § 482.23(b), which                    be more extensive and detailed than the                corrections in detail below.
                                                      currently states that there must be                     care plan for a patient with a less
                                                      supervisory and staff personnel for each                                                                       D. Medical Record Services (§ 482.24)
                                                                                                              complex medical need expecting only a
                                                      department or nursing unit to ensure,                   brief hospital stay. We expect that a                     The Medicare hospital CoPs apply to
                                                      when needed, the immediate                              nursing care plan would be initiated                   services being provided to all patients,
                                                      availability of a registered nurse for                  and implemented in a timely manner,                    regardless of insurer, and to both
                                                      bedside care of any patient. We propose                 include patient goals as part of the                   inpatients and outpatients of a hospital.
                                                      to delete the term ‘‘bedside,’’ which                   patient’s nursing care assessment and,                 However, some of the regulatory
                                                      might imply only inpatient services to                  as appropriate, physiological and                      language in the Medical Record Services
                                                      some readers. The nursing service must                  psychosocial factors (such as specific                 CoP (§ 482.24) appears to apply to only
                                                      ensure that patient needs are met by                    physical limitations and available                     inpatients, particularly with the use of
                                                      ongoing assessments of patients’ needs                  support systems), physical and                         terms such as ‘‘admission,’’
                                                      and must provide nursing staff to meet                  behavioral health comorbidities, and                   ‘‘hospitalization,’’ and ‘‘discharge.’’ We
                                                      those needs regardless of whether the                   patient discharge planning. In addition,               are proposing to make changes to
                                                      patient is an inpatient or an outpatient.               it should be consistent with the plan for              several of the provisions in this CoP so
                                                      There must be sufficient numbers, and                   the patient’s medical care and                         that the requirements are clearer
                                                      types of supervisory and staff nursing                  demonstrate evidence of reassessment of                regarding the distinctions between a
                                                      personnel to respond to the appropriate                 the patient’s nursing care needs,                      patient’s inpatient and outpatient status
                                                      nursing needs and care of the patient                   response(s) to nursing interventions,                  and the subtle differences between
                                                      population of each department or                        and, as needed, revisions to the plan.                 certain aspects of medical record
                                                      nursing unit. When needed, a registered                    Finally, we propose to revise                       documentation related to each status.
                                                      nurse must be available to care for any                 paragraph (b)(6) (which currently states                  The current requirements at
                                                      patient. We understand that the term                    that non-employee licensed nurses                      § 482.24(c) state that the content of the
                                                      ‘‘immediate availability’’ has been                     working in the hospital must adhere to                 medical record must contain
                                                      interpreted to mean physically present                  the policies and procedures of the                     information to justify admission and
                                                      on the unit or in the department. We                    hospital and that the director of nursing              continued hospitalization, support the
                                                      further understand that there are some                  service must provide for the adequate                  diagnosis, and describe the patient’s
                                                      outpatient services where it might not                  supervision and evaluation of the                      progress and response to medications
                                                      be necessary to have a registered nurse                 clinical activities of non-employee                    and services. While we believe that
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                                                      physically present. For example, while                  nursing personnel) to clarify that all                 these terms are appropriate for
                                                      it is clearly necessary to have an RN                   licensed nurses who provide services in                inpatients, they do not fully capture the
                                                      present in an outpatient ambulatory                     the hospital must adhere to the policies               specific documentation necessary for
                                                      surgery recovery unit, it might not be                  and procedures of the hospital. In                     outpatients. For example, appropriate
                                                      necessary to have an RN on-site at an                   addition, the director of nursing service              documentation for an outpatient would
                                                      off-campus MRI facility at                              must provide for the adequate                          be a current progress note, often in the
                                                      § 482.23(b)(7). We propose to allow a                   supervision and evaluation of the                      accepted standard of a SOAP
                                                      hospital to establish a policy that would               clinical activities of all nursing                     (Subjective, Objective, Assessment,
                                                      specify which, if any, outpatient                       personnel (that is, all licensed nurses                Plan) note. Therefore, we propose to


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                                                      39454                   Federal Register / Vol. 81, No. 116 / Thursday, June 16, 2016 / Proposed Rules

                                                      revise the current regulatory language to               recognize the distinction between the                  New England Journal of Medicine 2014;
                                                      require that the content of the medical                 services received by inpatients and                    370:1198–208.) Additionally, HHS is
                                                      record must contain information to                      those received by outpatients by                       concerned about the growing threat to
                                                      justify all admissions and continued                    proposing to include language that                     patient safety posed by organisms that
                                                      hospitalizations, support the diagnoses,                distinguishes between the inpatient and                are resistant to antibiotics, referred to as
                                                      describe the patient’s progress and                     the outpatient experiences.                            ‘‘multi-drug resistant organisms
                                                      responses to medications and services,                     Finally, we emphasize the                           (MDROs).’’ Options for treating patients
                                                      and document all inpatient stays and                    distinctions between discharges and                    with MDRO infections are very limited,
                                                      outpatient visits to reflect all services               transfers as well as between inpatients                resulting in increased mortality, as well
                                                      provided to the patient.                                and outpatients by proposing to revise                 as increased hospital lengths of stay and
                                                         Similarly, we propose to revise                      § 482.24(c)(4)(viii) so that the content of            costs. In response, HHS launched an
                                                      § 482.24(c)(4)(ii) from the current                     the medical record would contain final                 Action Plan in April 2013 toward the
                                                      requirement for documentation of                        diagnoses with completion of medical                   prevention and elimination of HAIs.
                                                      ‘‘admitting diagnosis’’ to include ‘‘all                records within 30 days following all                   (HHS. ‘‘HHS Action Plan to Prevent
                                                      diagnoses specific to each inpatient stay               inpatient stays, and within 7 days                     Healthcare-Associated Infections.’’
                                                      and outpatient visit,’’ which would                     following all outpatient visits.                       Accessed 5 March 2014 http://
                                                      include specifying any admitting                                                                               www.hhs.gov/ash/initiatives/hai/
                                                      diagnoses. Within this same standard,                   E. Infection Prevention and Control and                actionplan/index.html.) The HHS
                                                      we are proposing to update several                      Antibiotic Stewardship Programs                        Action Plan identifies policy changes,
                                                      terms to reflect more current                           (§ 482.42)                                             some addressed here in this proposed
                                                      terminology and standards of practice.                  Background                                             rule, in an effort to provide better, more
                                                      Therefore, at § 482.24(c)(4)(iv), we                                                                           efficient care.
                                                      propose to require that the content of                     CMS introduced Infection Control as                    We are proposing revisions to
                                                      the record include documentation of                     a hospital CoP in 1986 amidst growing                  § 482.42 in an effort to further clarify
                                                      complications, hospital-acquired                        recognition that infections and                        existing requirements and update
                                                      conditions, healthcare-associated                       communicable diseases were potentially                 regulatory language to reflect state-of-
                                                      infections, and adverse reactions to                    exposing hospital patients to significant              the-art practices and terminology. We
                                                      drugs and anesthesia. We also propose                   pain and risk, and driving up direct                   are also proposing revisions that would
                                                      changes to § 482.24(c)(4)(vi) to add                    hospital charges (51 FR 22010, 22027).                 require a hospital to develop and
                                                      ‘‘progress notes . . . interventions,                   The regulation increased hospital                      maintain an antibiotic stewardship
                                                      responses to interventions . . . ’’ to the              accountability and sought to ensure that               program as an effective means to
                                                      required documentation of                               hospitals identify, prevent, control,                  improve hospital antibiotic-prescribing
                                                      ‘‘practitioners’ orders’’ to emphasize the              investigate, and report infections and                 practices and curb patient risk for
                                                      necessary documentation for both                        communicable diseases of patients and                  possibly deadly Clostridium difficile
                                                      inpatients and outpatients. And we                      hospital personnel. The regulation also                infections (CDIs), as well as other future,
                                                      propose to add the phrase ‘‘to reflect all              established a requirement for hospitals                and potentially life-threatening,
                                                      services provided to the patient,’’ so that             to keep a log to identify problems and                 antibiotic-resistant infections. We
                                                      the entire provision would now read                     for improvement to be made when                        would promote better alignment of a
                                                      that the content of the record must                     problems were identified.                              hospital’s infection control and
                                                      contain all practitioners’ progress notes                  The Infection Control CoP has                       antibiotic stewardship efforts with
                                                      and orders, nursing notes, reports of                   essentially remained unchanged in its                  nationally recognized guidelines and
                                                      treatment, interventions, responses to                  regulatory form, notwithstanding a final               heighten the role and accountability of
                                                      interventions, medication records,                      rule published in May 2012, ‘‘Reform of                a hospital’s governing body in program
                                                      radiology and laboratory reports, and                   Hospital and Critical Access Hospital                  implementation and oversight. We
                                                      vital signs and other information                       Conditions of Participation’’ (77 FR                   believe that these changes, together,
                                                      necessary to monitor the patient’s                      29034), which removed the obsolete and                 would promote a more patient-centered
                                                      condition and to reflect all services                   redundant requirement for hospitals to                 culture of safety focused on infection
                                                      provided to the patient.                                maintain infection control logs, since                 prevention and control as well as
                                                         Continuing under this standard                       hospitals are already required to                      appropriate antibiotic use, while
                                                      detailing the contents of the medical                   monitor infections and currently do so                 allowing hospitals the flexibility to align
                                                      record, we propose to make revisions to                 through various surveillance methods,                  their programs with the guidelines best
                                                      the final two provisions under this                     including electronic systems. The final                suited to them.
                                                      standard. We propose to change                          rule also made a technical change to the
                                                      § 482.24(c)(4)(vii) to require that all                 CoP and replaced the outdated term,                    Summary of Changes to § 482.42
                                                      patient medical records must document                   ‘‘quality assurance program,’’ with the                   In its present form, the ‘‘Infection
                                                      discharge and transfer summaries with                   more current term, ‘‘quality assessment                Control’’ CoP set forth at § 482.42
                                                      outcomes of all hospitalizations,                       and performance improvement                            requires hospitals to provide a sanitary
                                                      disposition of cases, and provisions for                program.’’                                             environment to avoid sources and
                                                      follow-up care for all inpatient and                       The Department of Health and Human                  transmission of infections and
                                                      outpatient visits to reflect the scope of               Services is particularly concerned about               communicable diseases. Hospitals are
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                      all services received by the patient. We                HAIs, as they are a significant cause of               presently required to have a designated
                                                      believe that these changes would clarify                morbidity and mortality in the United                  infection control officer, or officers, who
                                                      the importance of discharge summaries                   States. In 2011, there were an estimated               are required to develop a system to
                                                      for patients being discharged home as                   722,000 cases of HAIs in US hospitals                  identify, report, investigate and control
                                                      well as the importance of transfer                      with 75,000 inpatients with HAIs that                  infections and communicable diseases
                                                      summaries for patients being transferred                died during that same time period                      of patients and personnel. The
                                                      to post-acute care facilities such as                   (Magill SS, Edwards JR, Bamberg W et                   hospital’s CEO, medical staff, and
                                                      nursing homes or inpatient                              al. Multistate Point Prevalence Survey                 director of nursing services are charged
                                                      rehabilitation facilities. In addition, we              of Health Care-Associated Infections.                  with ensuring that the problems


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                                                                              Federal Register / Vol. 81, No. 116 / Thursday, June 16, 2016 / Proposed Rules                                          39455

                                                      identified by the infection control                     Survey Protocol, Regulations and                       adherence to nationally recognized
                                                      officer or officers are addressed in                    Interpretive Guidelines for Hospitals,                 infection prevention and control
                                                      hospital training programs and their                    pp.361–362, http://cms.gov/manuals/                    guidelines, as well as best practices for
                                                      QAPI program. The CEO, medical staff,                   Downloads/som107ap_a_hospitals.pdf.)                   improving antibiotic use, where
                                                      and director of nursing services are also               Surveillance practices include sampling                applicable, for reducing the
                                                      responsible for the implementation of                   or other mechanisms to permit                          development and transmission of HAIs
                                                      successful corrective action plans in                   identifying and monitoring infections                  and antibiotic-resistant organisms. We
                                                      affected problem areas.                                 occurring throughout the hospitals                     realize that, in developing the patient
                                                         At the outset, we propose a change to                various locations or departments. In                   health and safety requirements that are
                                                      the title of this CoP to ‘‘Infection                    accordance with proposed                               the hospital CoPs, particular attention
                                                      prevention and control and antibiotic                   § 482.42(c)(2)(ii), the hospital would be              must be paid to the ever-evolving nature
                                                      stewardship programs.’’ By adding the                   required to document its surveillance                  of medicine and patient care. Moreover,
                                                      word ‘‘prevention’’ to the CoP name, our                activities. Such documentation would                   a certain degree of latitude must be left
                                                      intent is to promote larger, cultural                   likely include the measures selected for               in the requirements to allow for
                                                      changes in hospitals such that                          monitoring, and collection of data and                 innovations in medical practice that
                                                      prevention initiatives are recognized on                analysis methods. Just as we would for                 improve the quality of care and move
                                                      balance with their current, traditional                 other parts of the hospital’s infection                toward the reduction of medical errors
                                                      control efforts. And by adding                          prevention and control program, we                     and patient harm.
                                                      ‘‘antibiotic stewardship’’ to the title, we             would require surveillance activities to                  We are proposing to intentionally
                                                      would emphasize the important role                      be conducted in accordance with                        build flexibility into the regulation by
                                                      that a hospital should play in                          nationally recognized infection control                proposing language that requires
                                                      combatting antimicrobial resistance                     surveillance practices, such as the                    hospitals to demonstrate adherence to
                                                      through implementation of a robust                      widely accepted CDC National                           nationally recognized guidelines rather
                                                      stewardship program that follows                        Healthcare Safety Network (NHSN). In                   than any specific guideline or set of
                                                      nationally recognized guidelines for                    collaboration with the hospital’s QAPI                 guidelines for infection prevention and
                                                      appropriate antibiotic use. Along with                  program, the hospital would be required                control and for antibiotic stewardship.
                                                      these changes, we propose to change the                 to develop and implement appropriate                   While the CDC guidelines represent one
                                                      introductory paragraph to require that a                infection prevention and control                       set, there are other sets of nationally
                                                      hospital’s infection prevention and                     interventions to address issues                        recognized guidelines from which
                                                      control and antibiotic stewardship                      identified through its detection                       hospitals might choose, such as those
                                                      programs be active and hospital-wide                    activities. Hospitals are encouraged to                established by SHEA and IDSA. We
                                                      for the surveillance, prevention, and                   have mechanisms in place for the early                 believe this approach would provide
                                                      control of HAIs and other infectious                    identification of patients with targeted               hospitals the flexibility they need to
                                                      diseases, and for the optimization of                   MDROs prevalent in their hospital and                  select and integrate those standards that
                                                      antibiotic use through stewardship. We                  community, and for the prevention of                   best suit their individual infection
                                                      would also require that a program                       transmission of such MDROs. When                       prevention and control and antibiotic
                                                      demonstrate adherence to nationally                     ongoing transmission of targeted                       stewardship programs. We also believe
                                                      recognized infection prevention and                     MDROs in the hospital is identified, the               this approach would allow hospitals the
                                                      control guidelines for reducing the                     infection prevention and control                       flexibility to adapt their policies and
                                                      transmission of infections, as well as                  program would use this event to                        procedures in concert with any updates
                                                      best practices for improving antibiotic                 identify potential breaches in infection               in the guidelines they have elected to
                                                      use, for reducing the development and                   control practice.                                      follow.
                                                      transmission of HAIs and antibiotic-                       As has previously been suggested in
                                                      resistant organisms. While these                        Interpretive Guidance, surveillance                    § 482.42(a) Standard: Infection
                                                      particular changes are new to the                       could also include ‘‘automated                         Prevention and Control Program
                                                      regulatory text, it is worth noting that                surveillance’’ by way of analyzing                     Organization and Policies
                                                      these requirements, with the exception                  useful information from infection                        We propose substantive changes to
                                                      of the new requirement for an antibiotic                control data through the systematic                    § 482.42(a), which sets forth the
                                                      stewardship program, have been present                  application of medical informatics and                 standard on ‘‘Organization and
                                                      in the Interpretive Guidelines for                      computer science technologies. (See                    policies.’’ First, we propose a change in
                                                      hospitals since 2008 (See A0747 at                      also Wright, M. Automated Surveillance                 the title of this standard that would now
                                                      Appendix A—Survey Protocol,                             and Infection Control: Toward a better                 read, ‘‘Infection prevention and control
                                                      Regulations and Interpretive Guidelines                 tomorrow. Am J Infect Control 2008;                    program organization and policies.’’
                                                      for Hospitals, http://cms.gov/manuals/                  36:S1–S5.) Automated surveillance                      Current requirements pertaining to an
                                                      Downloads/som107ap_a_hospitals.pdf).                    includes, but is not limited to, either                infection control officer or officers
                                                         We also propose to introduce the term                data mining (discovering patterns and                  would be amended within § 482.42(a)
                                                      ‘‘surveillance’’ into the text of the                   relationships which can be used to                     and some would be moved to
                                                      regulation. The addition of this term,                  classify and predict) or query-based data              § 482.42(c)(2).
                                                      which is also already in use in CMS                     management (requires user input, but
                                                      Interpretive Guidelines for hospitals, is                                                                      § 482.42(a)(1) Infection Control
                                                                                                              does not seek patterns independently).
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                      being proposed to bring the regulation                                                                         Officer(s)
                                                                                                              A variety of automated systems exist
                                                      up to date by reflecting current                        and include both commercial and                          Specifically, at § 482.42(a)(1), we
                                                      terminology in the field. As has been                   hospital-designed systems which, at a                  propose to require the hospital to
                                                      described in the Interpretive Guidelines                minimum, integrate portions of the                     appoint an infection preventionist(s)/
                                                      for this regulation, ‘‘surveillance’’                   medical record with laboratory,                        infection control professional(s). Within
                                                      includes infection detection, data                      admission, discharge, transfer, and                    this proposed change we are deleting
                                                      collection, and analysis, monitoring,                   treatment information.                                 the outdated term, ‘‘infection control
                                                      and evaluation of preventive                               We are also proposing a new                         officer,’’ and replacing it with the more
                                                      interventions. (See SOM, Appendix A—                    requirement that hospitals demonstrate                 current and accurate terms, ‘‘infection


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                                                      39456                   Federal Register / Vol. 81, No. 116 / Thursday, June 16, 2016 / Proposed Rules

                                                      preventionist/infection control                         is that the functions of an infection                  hospital’s inpatient and outpatient
                                                      professional.’’ CDC has defined                         prevention and control program are                     locations.
                                                      ‘‘infection control professional (ICP)’’ as             covered; it is not necessary for all
                                                      ‘‘a person whose primary training is in                 functions to rest with one individual.                 § 482.42(a)(3) Healthcare-Associated
                                                      either nursing, medical technology,                                                                            Infections (HAIs)
                                                                                                              § 482.42(a)(2) Preventing and
                                                      microbiology, or epidemiology and who                                                                             In this proposed rule, we are also
                                                                                                              Controlling the Transmission of
                                                      has acquired specialized training in
                                                                                                              Infections Within the Hospital and                     expanding the focus on and the
                                                      infection control.’’ In designating
                                                                                                              Between the Hospital and Other                         awareness of the sources of HAIs that a
                                                      infection preventionists/ICPs, hospitals
                                                                                                              Institutions and Settings                              hospital must address through its
                                                      should ensure that the individuals so
                                                      designated are qualified through                           We have proposed language at                        infection prevention and control
                                                      education, training, experience, or                     § 482.42(a)(2) that would adjust the                   program. We believe this change is
                                                      certification (such as that offered by the              scope of the hospitals’ prevention and                 appropriate given the rise in HAIs
                                                      Certification Board of Infection Control                control programs from its current focus                related to inter-facility transfer of
                                                      and Epidemiology Inc. (CBIC), or by the                 on transmission of infections between                  patients, as people move through the
                                                      specialty boards in adult or pediatric                  ‘‘patients and personnel’’ by proposing                system and across the continuum of
                                                      infectious diseases offered for                         a focus on ‘‘transmission of infection’’               health care. Given the number of
                                                      physicians by the American Board of                     in the broader sense. This change is                   facilities through which a patient might
                                                      Internal Medicine (for internists) and                  intended to reflect the efforts hospitals              travel, our proposal to increase the
                                                      the American Board of Pediatrics (for                   must make to prevent and control                       involvement of hospital infection
                                                      pediatricians)). Infection preventionists/              infections not just between patients and               prevention and control programs would
                                                      ICPs should maintain their                              personnel, but also between individuals                facilitate communication across settings.
                                                      qualifications through ongoing                          across the entire hospital setting (for                The provision would also require the
                                                      education and training, which can be                    example, among patients, personnel,
                                                                                                                                                                     program to address any infection control
                                                      demonstrated by participation in                        and visitors) as well as between the
                                                                                                                                                                     issues identified by public health
                                                      infection control courses, or in local and              hospital and other healthcare
                                                                                                              institutions and settings and between                  authorities. Hospitals could look to the
                                                      national meetings, organized by                                                                                HHS Action Plan to Prevent Healthcare-
                                                      recognized professional societies, such                 patients and the healthcare
                                                                                                              environment. In the case of transmission               Associated Infections as a resource for
                                                      as Association for Professionals in
                                                      Infection Control and Epidemiology                      of infections within the hospital, we                  identifying prominent HAIs. (HHS.
                                                      (APIC), Association of periOperative                    would expect hospitals to consider the                 ‘‘HHS Action Plan to Prevent
                                                      Registered Nurses (AORN), Society for                   impact of their outpatient facilities on               Healthcare-Associated Infections.’’
                                                      Healthcare Epidemiology of America                      their inpatient units. We would expect                 Accessed 3 August 2011 http://
                                                      (SHEA), and the Infectious Diseases                     hospitals to look to guidelines, such as               www.hhs.gov/ash/initiatives/hai/
                                                      Society of America (IDSA).                              those summarized by the CDC in its                     actionplan/index.html).
                                                         We would also require hospitals to                   recent publication, ‘‘Guide to Infection                  Hospitals could also find it helpful to
                                                      seek out and consider the                               Prevention for Outpatient Settings:                    refer to the list (which features several
                                                      recommendations of medical staff                        Minimum Expectations for Safe Care.’’                  categories of HACs and includes
                                                      leadership and nursing leadership in                    (CDC. ‘‘Guide to Infection Prevention for
                                                                                                                                                                     specific types of HAIs) that CMS
                                                      making such appointments. The                           Outpatient Settings’’ Accessed 18
                                                                                                                                                                     publishes annually in its FY 2016
                                                      proposed requirement would be a                         November 2015 http://www.cdc.gov/
                                                                                                              HAI/settings/outpatient/outpatient-care-               Inpatient Prospective Payment System
                                                      subtle, but important, departure from
                                                                                                              guidelines.html).                                      final rule (80 FR 49325), in accordance
                                                      the current requirement at § 482.42(a),
                                                      which simply requires that an officer or                   We believe this section reflects                    with section 5001(c) of the Deficit
                                                      officers be designated to implement and                 current best practices that are in place               Reduction Act (DRA) of 2005.
                                                      develop the program. We believe our                     in most hospitals. The reality is that                 § 482.42(a)(4) Scope and Complexity
                                                      proposed approach would require high-                   patients move between settings with
                                                      level hospital clinical leadership, such                great frequency and carry organisms                       We also propose to add a requirement
                                                      as those individuals responsible for the                with them, hence it is imperative that                 at § 482.42(a)(4) to clarify that we would
                                                      medical staff and for the nursing                       hospitals approach multi-drug resistant                expect hospitals to develop and manage
                                                      service, be involved in the process of                  organism control from the broader                      an infection prevention and control
                                                      selecting the infection preventionists/                 perspective in order to protect their                  program that ‘‘reflects the scope and
                                                      ICPs, and is in keeping with our aim of                 patients and staff. A concrete example                 complexity of the hospital services
                                                      promoting a hospital-wide culture of                    of this already being part of current                  provided.’’ For example, a hospital that
                                                      safety and quality in which input across                practice is that hospitals are already
                                                                                                                                                                     offers surgical services (contrasted with
                                                      the hospital is solicited and acted upon.               required to track both hospital- and
                                                                                                                                                                     a hospital that does not offer surgical
                                                         While we are proposing a change to                   community-onset cases of CDI, because
                                                                                                              research has shown that community-                     services) would be expected to have an
                                                      the qualifications for infection
                                                                                                              onset cases of CDI can impact hospitals.               infection prevention and control
                                                      preventionists/ICPs, we wish to
                                                      highlight that the other requirements for               Likewise, the role of the environment is               program that addresses infection issues
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                                                      designating an individual or individuals                being increasingly recognized as an                    specific to the surgical patient. Also, the
                                                      would remain otherwise unchanged. A                     important source of infections and this                CDC’s Healthcare Infection Control
                                                      hospital can still designate one or more                change simply reflects this data and best              Practices Advisory Committee
                                                      individuals to fulfill the responsibilities             practices. There are many good                         (HICPAC), as well as professional
                                                      within an infection prevention and                      examples of hospitals working on                       infection control organizations such as
                                                      control program. In a setting with                      preventing the spread of infection                     APIC and SHEA, publish studies and
                                                      multiple infection preventionists/ICPs,                 between healthcare environments. This                  recommendations on resource allocation
                                                      we would expect them to work together                   update also fits with the clarification                that hospitals might find useful.
                                                      as an integrated team. What is important                that these CoPs apply to both a


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                                                                              Federal Register / Vol. 81, No. 116 / Thursday, June 16, 2016 / Proposed Rules                                                  39457

                                                      § 482.42(b) Standard: Antibiotic                        ample opportunity to improve use and                      As is the case for infection prevention
                                                      Stewardship Program Organization and                    patient safety by reducing incorrect and               and control programs, we believe there
                                                      Policies                                                inappropriate antibiotic prescribing                   should be flexibility in how antibiotic
                                                         We propose a new standard at                         (http://www.cdc.gov/mmwr/preview/                      stewardship programs are implemented.
                                                      § 482.42(b) titled, ‘‘Antibiotic                        mmwrhtml/mm6309a4.htm?s_                               Guidance on best practices for
                                                      stewardship program organization and                    cid=mm6309a4_w Accessed March 14,                      implementing antibiotic stewardship
                                                      policies,’’ in order to require hospitals               2014). Prior to the release of this study              programs is available from several
                                                      to have policies and procedures for, and                on MMWR, CDC also issued early                         organizations, including IDSA, SHEA,
                                                      to demonstrate evidence of, an active                   releases of this information on both its               the American Society for Health System
                                                      and hospital-wide antibiotic                            Vital Signs and Get Smart for                          Pharmacists, and CDC.1
                                                                                                              Healthcare sites (http://www.cdc.gov/                     Taken as a whole, the studies and the
                                                      stewardship program. Antibiotic
                                                                                                              vitalsigns/antibiotic-prescribing-                     supportive evidence show
                                                      stewardship, as an area of infection
                                                                                                              practices/index.html; http://                          overwhelmingly that hospital AS
                                                      control, has long been recognized as one
                                                                                                              www.cdc.gov/getsmart/healthcare/ both                  programs can be implemented in all
                                                      of the special challenges that hospitals
                                                                                                              accessed March 4, 2014.). According to                 hospitals and would, as IDSA and SHEA
                                                      must meet in order to address the
                                                                                                              these reports:                                         state in their letter, ‘‘better patient care,
                                                      problems of multidrug-resistant                                                                                improve outcomes, and lower the
                                                      organisms and CDIs in hospitals.                           • About one-third of the time, in
                                                                                                              prescribing the critical and common                    healthcare costs associated with
                                                         As part of the antibiotic stewardship
                                                                                                              drug vancomycin and in the treatment                   antibiotic overuse (that is, expenditures
                                                      program, we propose that hospitals
                                                                                                              of common urinary tract infections,                    on antibiotics) as well as costs
                                                      would be required to improve their
                                                                                                              patients were given antibiotics without                associated with infections and
                                                      internal coordination among all
                                                                                                              proper testing or evaluation, were given               antimicrobial resistance.’’ Based on this
                                                      components responsible for antibiotic
                                                                                                              drugs for too long, or were given                      evidence, we are proposing the
                                                      use and reducing the development of                                                                            requirement for hospitals to include AS
                                                      resistance, including, but not limited to,              antibiotics when evidence suggested
                                                                                                              they were not needed at all.                           programs as integral parts of their
                                                      the infection prevention and control                                                                           overall infection prevention and control
                                                      program, the QAPI program, the medical                     • Clinicians in some hospitals
                                                                                                              prescribed three times as many                         efforts.
                                                      staff, nursing services, and pharmacy
                                                      services. We also propose a requirement                 antibiotics as clinicians in other                     § 482.42(b)(1) Leader of the Antibiotic
                                                      for hospitals to promote evidence-based                 hospitals, even though patients were                   Stewardship Program
                                                      use of antibiotics, and to reduce the                   receiving care in similar areas of each                  We propose a new provision at
                                                      incidence of adverse consequences of                    hospital. This difference suggests the                 § 482.42(b)(1) that would require the
                                                      inappropriate antibiotic use including,                 need to improve prescribing practices.                 hospital, with the recommendations of
                                                      but not limited to, CDIs and growth of                     • A 30 percent reduction in the                     the medical staff leadership and
                                                      antibiotic resistance in the hospital                   broad-spectrum antibiotics most likely                 pharmacy leadership, to designate an
                                                      overall. CMS believes that the proposed                 to cause CDI could reduce these deadly                 individual, who is qualified through
                                                      requirement for a hospital to implement                 infections by 26 percent.                              education, training, or experience in
                                                      and maintain an active and hospital-                       Additionally and prior to CMS                       infectious diseases and/or antibiotic
                                                      wide antibiotic stewardship program                     drafting this proposed rule, the                       stewardship, as the leader of the
                                                      will prove to be an effective means to                  Infectious Disease Society of America                  antibiotic stewardship program. We
                                                      improve hospital antibiotic-prescribing                 (IDSA) and SHEA wrote a letter to CMS                  believe that the importance of the
                                                      practices and thereby curb patient risk                 (dated March 4, 2014) detailing ‘‘the                  antibiotic stewardship program to the
                                                      for potentially life-threatening,                       supportive evidence and rationale to                   hospital is great enough to warrant the
                                                      antibiotic-resistant infections, including              adopt Antimicrobial Stewardship (AS)                   leadership of a qualified individual,
                                                      CDI. We also believe that a robust                      as a Medicare Condition of Participation               who would serve as the counterpart to
                                                      antibiotic stewardship program that is                  (CoP).’’ In the letter, IDSA and SHEA                  his or her colleague(s) leading the
                                                      coordinated with the hospital’s overall                 define ‘‘antibiotic stewardship’’ as ‘‘the             hospital’s overall infection prevention
                                                      infection prevention and control                        optimal use of antimicrobials to achieve               and control program. The skills needed
                                                      program might provide a synergistic                     the best clinical outcomes while                       to lead each program are different.
                                                      approach to addressing HAIs and                         minimizing adverse events, limiting                    Infection prevention programs are often
                                                      antibiotic resistance. In a November                    factors that lead to antimicrobial                     led by nursing staff who do not
                                                      2013 report entitled ‘‘Appropriate Use                  resistance, and reducing excessive costs               prescribe antibiotics. Antibiotic
                                                      of Medical Resources,’’ the American                    attributable to suboptimal antimicrobial               stewardship programs are led by
                                                      Hospital Association lists antibiotic                   use.’’ They presented extensive                        physicians and pharmacists who have
                                                      stewardship as one of the top five ways                 evidence for the value that antibiotic                 direct knowledge and experience with
                                                      that hospitals can improve the use of                   stewardship programs could hold for                    antibiotic prescribing. However, the
                                                      their medical resources (Combes J.R.                    patients and hospitals as well as for the              ultimate goals of the programs on
                                                      and Arespacochaga E., Appropriate Use                   overall healthcare system. The letter                  preventing healthcare complications
                                                      of Medical Resources. American                          cited numerous studies that
                                                      Hospital Association’s Physician                        demonstrated that ‘‘AS programs
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                                                                                                                                                                        1 ‘‘Antimicrobial Agent Use’’. http://

                                                      Leadership Forum, Chicago, IL.                          provide significant cost savings or at                 www.idsociety.org/Antimicrobial_Agents/.
                                                      November 2013.).                                        least offset the cost of AS programs                   ‘‘Antimicrobial Stewardship: Guidelines’’. http://
                                                                                                                                                                     www.shea-online.org/PriorityTopics/
                                                         Further supporting this call for                     through reduction in drug acquisition                  AntimicrobialStewardship/Guidelines.aspx.
                                                      hospital AS programs, CDC recently                      costs, correlating with improved clinical              ‘‘Antimicrobial Stewardship Resources’’. http://
                                                      issued a detailed study through its                     outcomes.’’ (http://www.shea-                          www.ashp.org/menu/PracticePolicy/
                                                      Morbidity and Mortality Weekly Report                   online.org/View/ArticleId/265/SHEA-                    ResourceCenters/Inpatient-Care-Practitioners/
                                                                                                                                                                     Antimicrobial-Stewardship. ‘‘Core Elements of
                                                      (MMWR) released March 7, 2014 that                      IDSA-letter-to-CMS-advancing-                          Hospital Antibiotic Stewardship Programs’’ http://
                                                      found that antibiotic prescribing for                   Antimicrobial-Stewardship-as-a-                        www.cdc.gov/getsmart/healthcare/implementation/
                                                      inpatients is common, and that there is                 Condition-of-Participation.aspx)                       core-elements.html.



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                                                      39458                   Federal Register / Vol. 81, No. 116 / Thursday, June 16, 2016 / Proposed Rules

                                                      like CDI and resistance are common and                  quality, and we are proposing these                    prevention and control and antibiotic
                                                      hence there is the need for                             regulatory changes to introduce a                      stewardship programs with hospitals’
                                                      collaboration. We believe that it is                    catalyst at the leadership level. We                   QAPI programs will translate to better
                                                      important for the overall success of both               believe these changes would result in                  quality and healthier patients.
                                                      programs (and for the hospital) that each               the implementation of successful                       Ultimately, better quality and healthier
                                                      has its own distinct structure and                      programs such as Executive Walk                        patients reduce burden and create
                                                      leadership responsibilities, but that each              Rounds (EWRs), instituted by Brigham &                 efficiencies in health care overall.
                                                      works in close collaboration with the                   Women’s Hospital in Boston some years
                                                                                                                                                                     § 482.42(c)(2) The Infection
                                                      other.                                                  ago. The goals of these rounds (and
                                                                                                                                                                     Preventionists/Infection Control
                                                                                                              others modeled on them) are to: Ensure
                                                      § 482.42(b)(2)(i), (ii), and (iii) Meeting                                                                     Professionals
                                                                                                              safety is a high priority for senior
                                                      the Goals of the Antibiotic Stewardship                                                                          At § 482.42(c)(2), we establish the
                                                                                                              leadership; increase staff awareness of
                                                      Program                                                                                                        responsibilities of the infection
                                                                                                              safety issues; educate staff about patient
                                                         Proposed requirements at § 482.42(b)                 safety concepts such as non-punitive                   preventionist(s)/infection control
                                                      would require the hospital to ensure                    reporting; and obtain information from                 professional(s) for the hospital’s
                                                      that the following goals for an AS                      staff about safety issues. We also                     infection prevention and control
                                                      program are met: (1) Demonstrate                        propose to update the requirements by                  program.
                                                      coordination among all components of                    adopting a broader reference to ‘‘nursing              § 482.42(c)(2)(i) The Infection
                                                      the hospital responsible for antibiotic                 leadership’’ rather than ‘‘the director of             Preventionists’/Infection Control
                                                      use and factors that lead to                            nursing services,’’ which is used in the               Professionals’ Responsibilities
                                                      antimicrobial resistance, including, but                current regulation. In addition to
                                                      not limited to, the infection prevention                consultation with nursing leadership,                     We propose to add a requirement at
                                                      and control program, the QAPI program,                  we would also require hospital                         § 482.42(c)(2)(i) that would make the
                                                      the medical staff, nursing services, and                governing body consultation with                       infection preventionist(s)/infection
                                                      pharmacy services; (2) document the                     medical staff, pharmacy leadership, the                control professional(s) responsible for
                                                      evidence-based use of antibiotics in all                infection preventionist(s)/infection                   the development and implementation of
                                                      departments and services of the                         control professional(s), and the leader of             hospital-wide infection surveillance,
                                                      hospital; and (3) demonstrate                           the antibiotic stewardship program. We                 prevention, and control policies and
                                                      improvements, including sustained                       believe these changes would provide                    procedures that adhere to nationally
                                                      improvements, in proper antibiotic use,                 hospitals with greater flexibility and                 recognized guidelines. Current CMS
                                                      such as through reductions in CDI and                   open up the process and expand                         Interpretive Guidelines (SOM,
                                                      antibiotic resistance in all departments                                                                       Appendix A, p. 353) for hospitals
                                                                                                              accountability and involvement at all
                                                      and services of the hospital. We believe                                                                       already guide hospitals to follow
                                                                                                              levels.
                                                      that these components are essential for                                                                        nationally recognized infection control
                                                      a robust and effective AS program. After                § 482.42(c)(1) The Governing Body                      practices or guidelines. This proposed
                                                      this rule is finalized, CMS will develop                  We propose requirements at                           requirement notwithstanding, we
                                                      Interpretive Guidelines that will instruct              § 482.42(c)(1) that provide greater                    recognize and appreciate that a hospital
                                                      surveyors on how to determine hospital                  specificity with respect to the                        might wish to implement safety
                                                      compliance with these goals.                            responsibilities of hospital leadership at             practices as part of an investigation
                                                                                                              the governing body level. As previously                aimed to improve or modify accepted
                                                      § 482.42(b)(3) and (4) Meeting                                                                                 standards of infection prevention and
                                                                                                              set forth, we believe these changes are
                                                      Nationally Recognized Guidelines; and                                                                          control practice, but which have not yet
                                                                                                              necessary to the hospital-wide culture of
                                                      Scope and Complexity                                                                                           been established as national guidelines
                                                                                                              quality improvement we are promoting.
                                                        Three new provisions would require                                                                           or even emerged from the traditional
                                                      the hospital ensure that the AS program                 § 482.42(c)(1)(i) Governing Body                       peer review process. We do not intend
                                                      adheres to nationally recognized                        Responsibilities                                       to discourage these investigational
                                                      guidelines, as well as best practices, for                In particular, we would require at                   methodologies or approaches. We
                                                      improving antibiotic use, and, similar to               § 482.42(c)(1)(i) that the governing body              would, however, expect to see the
                                                      the requirements proposed for the                       ensure that systems are in place and are               hospitals engaging in these sorts of
                                                      hospital’s infection prevention and                     operational for the tracking of all                    innovative practices to also have an
                                                      control program at § 482.42(a)(4), the                  infection surveillance, prevention, and                adequate program rooted in the
                                                      hospital also ensures that the AS                       control, and antibiotic use activities, in             traditional evidence-based model. There
                                                      program reflects the scope and                          order to demonstrate the                               are ample recognized evidence-based
                                                      complexity of services offered.                         implementation, success, and                           approaches for hospitals to follow, and
                                                                                                              sustainability of such activities.                     we believe our proposed requirement
                                                      § 482.42(c) Leadership Responsibilities                                                                        for hospitals to adhere to nationally
                                                        We propose to revise the requirements                 § 482.42(c)(1)(ii) Governing Body                      recognized guidelines would not
                                                      currently at § 482.42(b), ‘‘Leadership                  Responsibilities (Cont.)                               impede any hospital’s ability to
                                                      responsibilities,’’ by proposing a new                    We are proposing at § 482.42(c)(1)(ii)               otherwise make progress in infection
                                                      standard at § 482.42(c) that would                      that the governing body ensure that all                prevention and control.
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                      enhance the accountability of hospital                  HAIs and other infectious diseases                        Research tells us that healthcare-
                                                      leadership for the infection prevention                 identified by the infection prevention                 associated infections are one of the most
                                                      and control and antibiotic stewardship                  and control program as well as                         preventable causes of mortality in the
                                                      programs as well as delineate the                       antibiotic use issues identified by the                United States (U.S.). For example, in a
                                                      responsibilities for the leaders of the                 antibiotic stewardship program are                     seminal study on central line-associated
                                                      infection prevention and control                        addressed in collaboration with hospital               bloodstream infections (CLABSIs),
                                                      program and the AS program                              QAPI leadership. As discussed, we                      known as the Michigan Keystone study,
                                                      respectively. We wish to promote a                      believe that a closer, more streamlined                researchers demonstrated the profound
                                                      hospital-wide culture of safety and                     connection between infection                           impact that the use of checklists can


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                                                                              Federal Register / Vol. 81, No. 116 / Thursday, June 16, 2016 / Proposed Rules                                           39459

                                                      have when applied to the medical field.                 maintaining pertinent information in a                 § 482.42(c)(3) The Antibiotic
                                                      The study demonstrated a 66 percent                     systematic fashion.                                    Stewardship Program Leader’s
                                                      drop in central line-associated                            At § 482.42(c)(2)(iii), we would                    Responsibilities
                                                      bloodstream infection rates, saving                     require that the infection                                Finally in this CoP, at § 482.42(c)(3),
                                                      1,500 lives and $100 million. [Pronovost                preventionist(s)/infection control                     we propose new requirements for the
                                                      P, Needham D, Berenholtz S, Sinopoli                    professional(s) communicate and                        hospital’s designated antibiotic
                                                      D, Chu H, Cosgrove S, et al. An                         collaborate with the hospital’s QAPI                   stewardship program leader, similar to
                                                      intervention to decrease catheter-related               program on all infection prevention and                the responsibilities we have proposed
                                                      bloodstream infections in the ICU. N                                                                           for the hospital’s designated infection
                                                                                                              control issues. By the word ‘‘issues’’ we
                                                      Engl J Med. 2006; 355(25):2725–32.] The                                                                        preventionist(s)/infection control
                                                                                                              mean all concerns, including ones
                                                      study demonstrated that it was possible                                                                        professional(s). Based on the evidence,
                                                                                                              which are emerging and ones which are
                                                      for a diverse array of hospitals with a                                                                        we believe that a hospital antibiotic
                                                                                                              already problematic. We believe this
                                                      diverse array of patients to adopt the                                                                         stewardship program is the most
                                                                                                              approach will foster and enhance a
                                                      same bundled set of best practices,                                                                            effective means for ensuring appropriate
                                                      apply them consistently and in a                        proactive culture around hospitals’
                                                                                                              infection prevention and control                       antibiotic use and for reducing HAIs
                                                      hospital-wide team-like fashion, and                                                                           and antibiotic resistance, including
                                                      produce a massive reduction in                          programs.
                                                                                                                                                                     deadly CDI. We also believe that such a
                                                      CLABSIs over a sustained period.                           At § 482.42(c)(2)(iv), we propose that              program would require a dedicated and
                                                      Importantly, the study also touched off                 the infection preventionist(s)/infection               expert leader responsible and
                                                      a change in hospital culture, and                       control professional(s) take a direct role             accountable for its success. Therefore,
                                                      weakened a long-held belief in the                      in the competency-based training and                   those responsibilities would be:
                                                      medical community that infections were                  education of hospital personnel and                       • The development and
                                                      inevitable, not truly preventable, and                  staff, including medical staff, and, as                implementation of a hospital-wide
                                                      simply a cost of being a patient in a                   applicable, personnel providing                        antibiotic stewardship program, based
                                                      hospital. Since publication of this initial             contracted services in the hospital, on                on nationally recognized guidelines, to
                                                      study, researchers have gone on to                      the practical applications of infection                monitor and improve the use of
                                                      demonstrate how the reduction of                        prevention and control guidelines,                     antibiotics;
                                                      CLABSIs also translates to reductions in                policies, and procedures. We believe                      • All documentation, written or
                                                      mortality and in length of stay. [Lipitz-               that this proposed revision is more                    electronic, of antibiotic stewardship
                                                      Snyderman A, Steinwachs D, Needham                      specific and more in keeping with                      program activities;
                                                      D, Colantuoni E, Morlock L, Pronovost                   current standards of practice in                          • Communication and collaboration
                                                      P, Impact of a statewide intensive care                 hospitals than the current provision at                with medical staff, nursing, and
                                                      unit quality improvement initiative on                  § 482.42(b)(1) that requires a hospital to             pharmacy leadership, as well as the
                                                      hospital mortality and length of stay:                  ensure that its training programs                      hospital’s infection prevention and
                                                      retrospective comparative analysis. BMJ                 address problems identified by the                     control and QAPI programs, on
                                                      2011; 342:d219.] Reductions have been                   infection control officer or officers.                 antibiotic use issues; and
                                                      demonstrated for other HAIs as well, but                                                                          • The competency-based training and
                                                      much more remains to be done.                              At § 482.42(c)(2)(v), we propose that
                                                                                                                                                                     education of hospital personnel and
                                                                                                              the infection preventionist(s)/infection
                                                        Finally, by requiring hospitals to                                                                           staff, including medical staff, and, as
                                                                                                              control professional(s) be responsible
                                                      adhere to ‘‘nationally recognized                                                                              applicable, personnel providing
                                                                                                              for preventing and controlling HAIs,                   contracted services in the hospital, on
                                                      guidelines,’’ we aim to provide hospitals
                                                                                                              including auditing of adherence to                     the practical applications of antibiotic
                                                      with a broad array of options and a large
                                                                                                              infection prevention and control                       stewardship guidelines, policies, and
                                                      degree of flexibility. We recognize the
                                                                                                              policies and procedures by hospital                    procedures.
                                                      potential for hospitals to become
                                                                                                              personnel. We believe the infection
                                                      encumbered by competing initiatives                                                                            F. Technical Corrections
                                                                                                              preventionist(s)/infection control
                                                      and requirements whereby they are
                                                                                                              professional(s) would find a                           Technical Amendments to
                                                      required to collect different data or
                                                                                                              comprehensive and timely resource in                   § 482.27(b)(7)(ii) and (b)(11)
                                                      implement varied solutions for the same
                                                                                                              the HHS Action Plan to Prevent
                                                      problem. For this reason, we have                                                                                In the final rule ‘‘Medicare and
                                                                                                              Healthcare-Associated Infections (HHS.
                                                      drafted broad requirements to afford                                                                           Medicaid Programs; Hospital Conditions
                                                      hospitals the flexibility to adopt the                  ‘‘HHS Action Plan to Prevent
                                                                                                              Healthcare-Associated Infections.’’                    of Participation: Laboratory Services,’’
                                                      approaches which best fit their infection                                                                      amending 42 CFR 482.27 (72 FR 48562,
                                                      prevention and control needs.                           Accessed 3 August 2011 http://
                                                                                                              www.hhs.gov/ash/initiatives/hai/                       48573, Aug. 24, 2007), we stated that
                                                      § 482.42(c)(2)(ii), (iii), (iv), (v), and (vi)          actionplan/index.html.).                               HCV notification requirements for
                                                      The Infection Preventionists’/Infection                                                                        donors tested before February 20, 2008,
                                                                                                                 At § 482.42(c)(2)(vi), we propose that              would expire on August 24, 2015, in
                                                      Control Professionals’ Responsibilities                 the infection preventionist(s)/infection
                                                      (Cont.)                                                                                                        accordance with 21 CFR 610.48.
                                                                                                              control professional(s) be responsible                   Since the notification requirement
                                                        At § 482.42(c)(2)(ii), we propose to                  for communication and collaboration                    period has expired, we propose to
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                                                      make the infection preventionist(s)/                    with the antibiotic stewardship                        remove § 482.27(b)(11), ‘‘Applicability’’
                                                      infection control professional(s)                       program. Based on the evidence                         and the corresponding requirements set
                                                      responsible for all documentation,                      provided by CDC, IDSA, SHEA, and                       out at § 482.27(b)(7)(ii).
                                                      written or electronic, of the prevention                others, we believe that collaboration
                                                      and control program, and its                            between the hospital’s infection                       Corrected Reference in § 482.58
                                                      surveillance, prevention, and control                   prevention and control and antibiotic                    In our review of the Hospital
                                                      activities. As used in this context, the                stewardship programs will provide the                  Conditions of Participation, we found
                                                      word ‘‘documentation’’ would                            optimal approach to reducing HAIs and                  an incorrect cross-reference at
                                                      encompass both collecting and                           antibiotic resistance.                                 § 482.58(b)(6), which currently reads


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                                                      39460                   Federal Register / Vol. 81, No. 116 / Thursday, June 16, 2016 / Proposed Rules

                                                      ‘‘Discharge planning (§ 483.20(e))’’.                   remainder of the CoPs apply to all                     of the CAH in addition to the disclosure
                                                      Section 483.20(e) addresses                             patients, regardless of payment source,                of individuals with a controlling interest
                                                      coordination of the preadmission                        and not just Medicare beneficiaries. For               in the CAH or in any subcontractor in
                                                      screening and resident review program,                  example, the Nursing Services CoP, at                  which the CAH directly or indirectly
                                                      not discharge planning. SNF                             § 482.23(c)(1), requires that all drugs                has a 5 percent or more ownership
                                                      requirements for discharge plans are set                and biologicals must be prepared and                   interest. Since the disclosure of persons
                                                      out at § 483.20(l). Therefore, we propose               administered in accordance with                        having ownership, financial, or control
                                                      to correct the reference to read                        Federal and State laws, the orders of the              interest is required via the provider
                                                      ‘‘Discharge summary (§ 483.20(l))’’.                    practitioner or practitioners responsible              enrollment process as discussed at
                                                                                                              for the patient’s care as specified under              § 420.206, we do not believe that it is
                                                      Removal of Inappropriate References to
                                                                                                              § 482.12(c), and accepted standards of                 appropriate to repeat the requirement
                                                      § 482.12(c)(1)                                          practice. Since the CoPs clearly allow
                                                         Upon our review of the Hospital CoPs                                                                        under the health and safety regulations.
                                                                                                              hospitals to determine which categories
                                                      for this proposed rule, we discovered                                                                          Therefore, we are proposing to delete
                                                                                                              of practitioners would be responsible for
                                                      that there are several provisions that                                                                         the same disclosure requirement at
                                                                                                              the care of other patients, outside the
                                                      incorrectly reference § 482.12(c)(1),                   narrow Medicare beneficiary restrictions               § 485.627(b)(1).
                                                      which lists the types of physicians and                 of § 482.12(c), this reference is                      2. Periodic Review of Clinical Privileges
                                                      applies only to patients who are                        inappropriate and unnecessarily                        and Performance (§ 485.631(d)(1)
                                                      Medicare beneficiaries. Section                         restrictive of hospitals and their medical             Through (2))
                                                      482.12(c) states that the governing body                staffs to make these determinations
                                                      of the hospital must ensure that every                  based on State law and practitioner                       The current CoP at § 485.641 requires
                                                      Medicare patient is under the care of                   scope of practice.                                     a CAH to have an agreement with
                                                      one of the following practitioners:                        In order to clarify that these                      respect to credentialing and quality
                                                         • A doctor of medicine or osteopathy;                provisions apply to all patients and not               assurance with a hospital that is a
                                                         • A doctor of dental surgery or dental               only Medicare beneficiaries, in this rule              member of the rural health network
                                                      medicine who is legally authorized to                   we are proposing to delete any                         (when applicable) as defined in
                                                      practice dentistry by the State and who                 inappropriate references to § 482.12(c).               § 485.603; one Quality Improvement
                                                      is acting within the scope of his or her                Therefore, we propose to delete                        Organization (QIO) or equivalent entity;
                                                      license;                                                references to § 482.12(c) found in the                 or one other appropriate and qualified
                                                         • A doctor of podiatric medicine, but                following provisions: § 482.13(e)(5),                  entity identified in the State rural health
                                                      only with respect to functions which he                 (e)(8)(ii), (e)(14), and (g)(4)(ii) in the             care plan to evaluate the quality and
                                                      or she is legally authorized by the State               Patients’ Rights CoP; and § 482.23(c)(1)
                                                      to perform;                                                                                                    appropriateness of the diagnosis and
                                                                                                              and (3) in the Nursing Services CoP.
                                                         • A doctor of optometry who is                                                                              treatment furnished by doctors of
                                                                                                              With respect to all of these provisions,
                                                      legally authorized to practice optometry                the reference to services provided under               medicine (MDs) or osteopathy (DOs) at
                                                      by the State in which he or she                         the order of a physician or other                      the CAH. In addition, the MD and DO
                                                      practices;                                              practitioner would still apply.                        (on staff or under contract with the
                                                         • A chiropractor who is licensed by                                                                         CAH) must evaluate the quality and
                                                      the State or legally authorized to                      G. Critical Access Hospitals                           appropriateness of the diagnosis and
                                                      perform the services of a chiropractor,                   We have identified several priority                  treatment furnished by the CAH’s non-
                                                      but only with respect to treatment by                   areas in the CoPs for CAHs (42 CFR part                physician practitioners.
                                                      means of manual manipulation of the                     485, subpart F) for updates and                           We are proposing to change the
                                                      spine to correct a subluxation                          revisions. We believe that these                       current CoP at § 485.641 to reflect the
                                                      demonstrated by x-ray to exist; and                     proposed regulations would benefit the                 current QAPI format used in hospitals.
                                                         • A clinical psychologist as defined                 quality of care provided with a positive               As such, we propose to retain the
                                                      in § 410.71, but only with respect to                   impact on patient satisfaction, length of              requirements under paragraphs
                                                      clinical psychologist services as defined               stay, and, ultimately, cost per patient.               § 485.641(b)(3) through (4), that are
                                                      in § 410.71 and only to the extent                      Additionally, without potentially                      currently found under the ‘‘Periodic
                                                      permitted by State law.                                 jeopardizing the quality of healthcare in
                                                         The reference of this ‘‘Medicare                                                                            evaluation and quality assurance’’ CoP,
                                                                                                              rural areas, we have proposed the                      and relocate them under a new standard
                                                      beneficiary-only’’ requirement in other                 following changes to the CAH CoPs
                                                      provisions of the CoPs inappropriately                                                                         under the ‘‘Staffing and staff
                                                                                                              considering the resource restrictions of
                                                      links it to all patients and not Medicare                                                                      responsibilities’’ CoP at § 485.631. We
                                                                                                              remote and frontier CAHs.
                                                      beneficiaries exclusively. In fact, the Act                                                                    are not changing these requirements and
                                                      at section 1861(e)(4) states that ‘‘every               1. Organizational Structure                            believe that they are still appropriate for
                                                      patient with respect to whom payment                    (§ 485.627(b))                                         the CAH regulations. Since the current
                                                      may be made under this title must be                       The CoP at § 485.627 provides that the              CoP under § 485.631 discusses staffing
                                                      under the care of a physician except that               CAH has a governing body or an                         requirements and responsibilities, we
                                                      a patient receiving qualified                           individual that assumes full legal                     believe that relocating the requirement
                                                      psychologist services (as defined in                    responsibility for determining,                        under a new standard, entitled
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                                                      subsection (ii)) may be under the care of               implementing and monitoring policies                   ‘‘Periodic Review of Clinical Privileges
                                                      a clinical psychologist with respect to                 governing the CAH’s total operation and                and Performance’’ (§ 485.631(d)) is a
                                                      such services to the extent permitted                   for ensuring that those policies are                   more appropriate placement for the
                                                      under State law.’’ In accordance with                   administered so as to provide quality                  current provisions requiring a CAH to
                                                      that provision, we have chosen to apply                 health care in a safe environment. The                 evaluate the quality of care provided by
                                                      § 482.12(c) to Medicare patients. With                  current standard at § 485.627(b) requires              their nurse practitioners, clinical nurse
                                                      the exception of a few provisions in the                the disclosure of names and addresses                  specialists, certified nurse midwives,
                                                      CoPs such as those directly related to                  of the person(s) principally responsible               physician assistants, doctors of
                                                      § 482.12(c) described here, the                         for the operation and medical direction                medicine, or doctors of osteopathy.


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                                                                              Federal Register / Vol. 81, No. 116 / Thursday, June 16, 2016 / Proposed Rules                                           39461

                                                      3. Provision of Services                                professionals, regardless of the                       PN regimens were ordered by
                                                      (§ 485.635(a)(3)(vii))                                  modifying term (or lack thereof), as long              physicians (Duffy JK, Gray RL, Roberts
                                                         We currently require CAHs at                         as each qualified dietitian or qualified               S, Glanzer SR, Longoria SL.
                                                      § 485.635(a)(3)(vii) to have procedures                 nutrition professional meets the                       Independent nutrition order writing by
                                                      that ensure that the nutritional needs of               requirements of his or her respective                  registered dieticians reduces
                                                      inpatients are met in accordance with                   State laws, regulations, or other                      complications associated with nutrition
                                                      recognized dietary practices and the                    appropriate professional standards.                    support [abstract]. J Am Diet Assoc.
                                                      orders of the practitioner responsible for                 Based on a review of the professional               2008; 108 (suppl 1):A9).
                                                                                                              literature on this subject, we believe that               Physicians, APRNs, and PAs might
                                                      the care of the patients and that the
                                                                                                              RDs are the professionals who are best                 lack the training and educational
                                                      requirement of § 483.25(i) is met with
                                                                                                              qualified to assess a patient’s nutritional            background to manage the sometimes
                                                      respect to inpatients receiving post-
                                                                                                              status and to design and implement a                   complex nutritional needs of patients
                                                      hospital SNF care. This current
                                                                                                              nutritional treatment plan in                          with the same degree of efficiency and
                                                      requirement asserts that a therapeutic
                                                                                                              consultation with the patient’s                        skill as RDs who have benefited from
                                                      diet must be prescribed only by the                                                                            curriculums that devote a significant
                                                      practitioner or practitioners responsible               interdisciplinary care team. In order for
                                                                                                              patients to receive timely nutritional                 number of educational hours to this area
                                                      for the care of the patient.                                                                                   of medicine. The addition of ordering
                                                         We finalized a change in the May 12,                 care, the RD must be viewed as an
                                                                                                              integral member of the CAH’s                           privileges enhances the ability that RDs
                                                      2014 Federal Register (79 FR 27106) to
                                                                                                                                                                     already have to provide timely, cost-
                                                      the hospital requirement for Food and                   interdisciplinary care team, one who, as
                                                                                                                                                                     effective, and evidence-based nutrition
                                                      Dietetic services (§ 482.28) that all                   the team’s clinical nutrition expert, is
                                                                                                                                                                     services as the recognized nutrition
                                                      patient diets, including therapeutic                    responsible for a patient’s nutritional
                                                                                                                                                                     experts on a hospital and a CAH
                                                      diets, must be ordered by a practitioner                diagnosis and treatment in light of the
                                                                                                                                                                     interdisciplinary team and saves
                                                      responsible for the care of the patient,                patient’s medical diagnoses. Without
                                                                                                                                                                     valuable time in the care and treatment
                                                      or by a qualified dietician or qualified                the proposed regulatory changes
                                                                                                                                                                     of patients, time that is now often
                                                      nutrition professional as authorized by                 allowing them to grant appropriate
                                                                                                                                                                     wasted as RDs must seek out physicians,
                                                      the medical staff and in accordance with                ordering privileges to RDs, CAHs would
                                                                                                                                                                     APRNs, and PAs to write or co-sign
                                                      State law governing dietitians and                      not be able to effectively realize the
                                                                                                                                                                     dietary orders. A 2011 literature review
                                                      nutrition professionals. We are                         improved patient outcomes and overall                  discusses a number of additional studies
                                                      proposing a similar change for CAHs                     cost savings that we believe would be                  that provide further evidence for the
                                                      because we believe that these rural                     possible with such changes. The                        extensive training and education in
                                                      providers and beneficiaries would                       literature also supports the conclusion                nutrition that RDs experience as
                                                      benefit from such a change. The                         that, in addition to providing safe                    opposed to the limited exposure that
                                                      responsibility for the care of the patient              patient care with improved outcomes,                   physicians receive to this area of
                                                      in a CAH has traditionally been the                     RDs with ordering privileges contribute                medicine, along with several other
                                                      responsibility of the physician, more                   to decreased patient lengths of stay and               studies supporting the cost-effectiveness
                                                      specifically the MD and DO, and the                     provide nutrition services more                        and positive patient outcomes that
                                                      APRN and PA. We believe that a team-                    efficiently, resulting in lower costs for              hospitals might achieve by granting RDs
                                                      based approach that allows for                          hospitals, including small and rural                   ordering privileges (Kinn TJ. Clinical
                                                      professionals to practice in their area of              hospitals as well as CAHs. (Kinn TJ.                   order writing privileges. Support Line.
                                                      expertise and to the fullest extent                     Clinical order writing privileges.                     2011; 33; 4; 3–10).
                                                      allowed by state law would be of great                  Support Line. 2011; 33; 4; 3–10). A 2010                  In order for patients to have access to
                                                      benefit to CAH patients. We further                     retrospective cohort study of 1,965                    the timely nutritional care that can be
                                                      believe that patients in these                          patients at an academic medical center                 provided by RDs, especially in rural and
                                                      traditionally underserved areas deserve                 looked at the influence of the RD with                 remote areas, a CAH must have the
                                                      the same standard of care as patients                   ordering privileges on appropriate                     regulatory flexibility either to appoint
                                                      receive in better-served areas.                         parenteral nutrition (PN) usage                        RDs to the medical staff and grant them
                                                         Based on feedback from the provider                  (Peterson SJ, Chen Y, Sullivan CA, et al.              specific nutritional ordering privileges
                                                      community, we have come to the                          Assessing the influence of registered                  or to authorize the ordering privileges
                                                      conclusion that the regulatory language                 dietician order-writing privileges on                  without appointment to the medical
                                                      is too restrictive and lacks the                        parenteral nutrition use. J AM Diet                    staff. In either instance, medical staff
                                                      reasonable flexibility to allow CAHs to                 Assoc. 2010; 110; 1702 1711). The study                oversight of RDs and their ordering
                                                      permit registered dieticians (RDs) to                   showed that inappropriate PN usage                     privileges would be ensured. Therefore,
                                                      order therapeutic diets for patients in                 decreased from 482 patients to 240                     we are proposing revisions to
                                                      accordance with State laws. Because                     patients during the pre- and post-                     § 485.635(a)(3)(vii) that would require
                                                      some States elect not to use the                        ordering privileges periods,                           that individual patient nutritional needs
                                                      regulatory term ‘‘registered’’ and choose               respectively. The data from this study                 be met in accordance with recognized
                                                      instead to use the term ‘‘licensed’’ (or no             also demonstrated a 20 percent cost                    dietary practices and the orders of the
                                                      modifying term at all), or because some                 savings in PN usage. Additionally, this                practitioner responsible for the care of
                                                      States also recognize other nutrition                   proposed change might also help CAHs                   the patients, or by a qualified dietician
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                                                      professionals with equal or possibly                    to realize other significant quality and               or qualified nutrition professional as
                                                      more extensive qualifications, we                       patient safety improvements as well as                 authorized by the medical staff in
                                                      propose to use the term ‘‘qualified                     savings. A 2008 study indicates that                   accordance with State law governing
                                                      dietitian.’’ In those instances where we                patients whose PN regimens were                        dietitians and nutrition professionals. In
                                                      have used the most common                               ordered by RDs have significantly fewer                addition, we are also proposing that the
                                                      abbreviation for dietitians, ‘‘RD,’’ in this            days of hyperglycemia (57 percent                      requirement of § 483.25(i) is met with
                                                      preamble, our intention is to include all               versus 23 percent) and electrolyte                     respect to inpatients receiving post
                                                      qualified dietitians and any other                      abnormalities (72 percent versus 39                    hospital SNF care. Evidence shows that
                                                      clinically qualified nutrition                          percent) compared with patients whose                  if CAHs choose to grant these specific


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                                                      39462                   Federal Register / Vol. 81, No. 116 / Thursday, June 16, 2016 / Proposed Rules

                                                      ordering privileges to RDs they might                   with improved health outcomes. The                     hospital in terms of number of beds, the
                                                      achieve a higher quality of care for their              same would be true of CAHs.                            more antibiotics were used on patients
                                                      patients by allowing these professionals                  CAHs would be required to inform                     and the more money was spent on the
                                                      to fully and efficiently function as                    each patient (including the patient’s                  cost of those drugs. The report
                                                      important members of the patient care                   support person, where appropriate) of                  discussed that one possible cause could
                                                      team in the role for which they were                    the right to be free from discrimination               be that hospitals located in smaller,
                                                      trained. As a result, it is expected that               in a language that the patient can                     perhaps rural areas, or CAHs might lack
                                                      CAHs would realize cost savings in                      understand. In addition, we propose to                 access to rapid, sophisticated lab
                                                      many of the areas affected by nutritional               require that the CAH inform the patient                equipment to identify the type of
                                                      care. We welcome public comments on                     and/or representative, and/or support                  microbes their patients might have.
                                                      this proposed change.                                   person, on how he or she can seek                         The report also theorized that it was
                                                                                                              assistance if they encounter                           likely that smaller hospitals do not have
                                                      Provision of Services (§ 485.635(g))                    discrimination.                                        as robust of an antimicrobial
                                                         At § 485.635(g) we propose a new                                                                            stewardship program as larger hospitals.
                                                      requirement regarding non-                              4. Infection Prevention and Control and
                                                                                                              Antibiotic Stewardship Programs                        The research documented several
                                                      discriminatory behavior. As discussed                                                                          factors associated with higher antibiotic
                                                      in this preamble at § 482.13 with regard                (§ 485.640)
                                                                                                                                                                     use at smaller or rural hospitals:
                                                      to hospitals, we are aware that                            CMS retained the former Essential                      • Lack of awareness on judicious
                                                      discriminatory behavior by healthcare                   Access Community Hospitals and Rural                   antibiotic use;
                                                      providers can create barriers to care and               Primary Care Hospitals (EACH/RPCH)                        • Lack of teamwork among
                                                      result in adverse outcomes for patients.                Infection Control regulation for CAHs in               pharmacists and physicians;
                                                      The fear of discrimination alone can                    the 1997 Federal Register (62 FR 46008,                   • Lack of a formal process on
                                                      limit the extent to which a person                      August 29, 1997) in the subsequent CoP                 appropriate indications for broad
                                                      accesses health services.                               requirements at § 485.635(a)(3)(vi) and                spectrum agent use;
                                                         While the CAH CoPs at § 485.608                      at § 485.641(b)(2). The infection control                 • Lack of prospective monitoring on
                                                      require that a CAH be in compliance                     requirements for CAHs have remained                    continuation of broad spectrum agent
                                                      with applicable Federal laws related to                 unchanged since 1997. We are                           use, such as de-escalation of use after
                                                      the health and safety of patients, there                proposing to remove the current                        negative result from culture and
                                                      is currently no explicit prohibition of                 requirements at §§ 485.635(a)(3)(vi) and               sensitivity testing; and
                                                      discrimination in the CAH CoPs. We                      485.641(b)(2) and are adding a new                        • Lack of resistance trend monitoring
                                                      propose to require that a CAH not                       infection prevention and control and                   and making appropriate process changes
                                                      discriminate on the basis of race, color,               antibiotic stewardship CoP for CAHs                    to reduce resistance.
                                                      religion, national origin, sex (including               because the existing standards for                        We are therefore proposing that each
                                                      gender identity), sexual orientation, age,              infection control do not reflect the                   CAH has facility-wide infection
                                                      or disability. We are proposing these                   current nationally recognized standards                prevention and control and antibiotic
                                                      requirements to ensure                                  of practice for the prevention and                     stewardship programs. The programs
                                                      nondiscrimination as required by                        elimination of healthcare-associated                   would be coordinated with the CAH
                                                      Section 1557 of the Affordable Care Act,                infections and for the appropriate use of              QAPI program, for the surveillance,
                                                      which prohibits health programs and                     antibiotics.                                           prevention, and control of HAIs and
                                                      activities that receive federal financial                  We discuss at length in this preamble               other infectious diseases and for the
                                                      assistance, such as Medicare and                        at § 482.42 the issues and concerns                    optimization of antibiotic use through
                                                      Medicaid, from excluding or denying                     regarding infection control, healthcare-               stewardship. We are emphasizing the
                                                      beneficiaries participation based on                    associated infections, antibiotic overuse,             importance of antibiotic stewardship
                                                      their race, color, national origin, sex                 and the industry recommendations for                   because it could play a vital role in a
                                                      (including gender identity), age, or                    addressing these serious and growing                   CAH’s successful efforts in combatting
                                                      disability. As discussed in section II.A.1              problems. Therefore, we will not have a                antimicrobial resistance. The programs
                                                      of this proposed rule, we believe that                  lengthy discussion of the background                   would demonstrate adherence to
                                                      discrimination based on a patient’s                     and rationale in this section.                         nationally recognized infection control
                                                      religion or sexual orientation can                      Additionally, note that a March 6, 2014                guidelines, where applicable, for
                                                      potentially lead to a denial of services                article of the Health Leaders Media                    reducing the transmission of infections,
                                                      or inadequate care, which is detrimental                entitled, ‘‘Size Matters in Antibiotic                 as well as best practices for improving
                                                      to the patient’s health and safety. We are              Overuse,’’ discusses the variation in                  antibiotic use and reducing the
                                                      therefore also proposing to establish                   prescribing practices among hospitals                  development and transmission of HAIs
                                                      explicit requirements that a CAH not                    (Cheryl Clark, Health Leaders Media                    and antibiotic-resistant organisms. We
                                                      discriminate on the basis of religion or                Council Quality e-Newsletter, March 6,                 believe that this approach would
                                                      sexual orientation and that a CAH                       2014). Some hospitals are prone to give                provide CAHs the flexibility they need
                                                      establish and implement a written                       antibiotics as much as three times more                to select and integrate standards and
                                                      policy prohibiting discrimination on the                often than other hospitals, despite a                  best practices which are best suited to
                                                      basis of religion or sexual orientation.                similar patient mix. The article features              their individual infection prevention
                                                      We are doing so under the statutory                     research results authored by clinicians                and control program.
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                                                      authority of Section 1820(e)(3) of the                  at a large hospital system with more
                                                      Act, which sets forth the conditions for                than 80 hospitals in 21 states. The                    § 485.640(a)(1) and (2) Infection Control
                                                      designating certain hospitals as CAHs.                  research showed that antibiotic                        Officer(s); and Prevention and Control
                                                         We further propose that CAHs                         prescribing practices at 69 hospitals had              of Infections Within the CAH and
                                                      establish and implement a written                       significant variations in the use of                   Between the CAH and Other Healthcare
                                                      policy prohibiting discrimination. As                   antibiotics across the 69 hospitals. They              Settings
                                                      noted in our explanation of the                         found that the lower the ‘‘case mix                      At § 485.640(a)(1) we propose that the
                                                      proposed policy applicable to hospitals,                index,’’ or severity of illness at a                   CAH ensure that an individual (or
                                                      freedom from discrimination correlates                  particular hospital, and the smaller the               individuals), who are qualified through


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                                                                              Federal Register / Vol. 81, No. 116 / Thursday, June 16, 2016 / Proposed Rules                                            39463

                                                      education, training, experience, or                     complexity of the services provided by                 prevention and control professionals be
                                                      certified in infection, prevention and                  the CAH.                                               addressed in collaboration with CAH
                                                      control, are appointed by the governing                                                                        leadership. We therefore propose at
                                                                                                              § 485.640(b)(1) Leader of the Antibiotic
                                                      body, or responsible individual, as the                                                                        § 485.640(c)(1)(i) and (ii), requirements
                                                                                                              Stewardship Program
                                                      infection preventionist(s)/infection                                                                           that the governing body or responsible
                                                      control professional(s) responsible for                   We propose at § 485.640(b)(1) that the               individual ensure that:
                                                      the infection prevention and control                    CAH’s governing body ensure that an                       • Systems are in place and
                                                      program at the CAH and that the                         individual, who is qualified through                   operational for the tracking of all
                                                      appointment is based on the                             education, training, or experience in                  infection surveillance, prevention, and
                                                      recommendations of medical staff and                    infectious diseases and/or antibiotic                  control, and antibiotic use activities in
                                                      nursing leadership. We recognize that                   stewardship is appointed as the leader                 order to demonstrate the
                                                      CAHs use a variety of staffing models                   of the antibiotic stewardship program                  implementation, success, and
                                                      including direct employment,                            and that the appointment is based on                   sustainability of such activities; and
                                                      contracted services, and shared service                 the recommendations of medical staff                      • All HAIs and other infectious
                                                      agreements. In § 485.640, we do not                     and pharmacy leadership.                               diseases identified by the infection
                                                      require any specific staffing model(s) for                                                                     prevention and control program and
                                                                                                              § 485.640(b)(2)(i),(ii), and (iii) Goals of
                                                      the professional(s) responsible for the                                                                        antibiotic use issues identified by the
                                                                                                              the Antibiotic Stewardship Program
                                                      facility-wide infection prevention and                                                                         antibiotic stewardship program are
                                                      control and antibiotic stewardship                         The proposed requirements at                        addressed in collaboration with CAH
                                                      programs. The CAH’s staffing for these                  § 485.640(b)(2)(i),(ii), and (iii) would               QAPI leadership.
                                                      programs should be appropriate to the                   ensure that the following goals for an                    At § 485.640(c)(2)(i)–(vi), we propose
                                                      scope and complexity of the services                    antibiotic stewardship program are met:                that the responsibilities of the infection
                                                      offered at the CAH.                                     (i) Demonstrate coordination among all                 prevention and control professionals
                                                                                                              components of the CAH responsible for                  would include the development and
                                                         We propose at § 485.640(a)(2) that the
                                                                                                              antibiotic use and resistance, including,              implementation of facility-wide
                                                      infection prevention and control
                                                                                                              but not limited to, the infection                      infection surveillance, prevention, and
                                                      program, as documented in its policies
                                                                                                              prevention and control program, the                    control policies and procedures that
                                                      and procedures, employ methods for
                                                                                                              QAPI program, the medical staff, and                   adhere to nationally recognized
                                                      preventing and controlling the
                                                                                                              nursing and pharmacy services; (ii)                    guidelines.
                                                      transmission of infections within the                                                                             The governing body or responsible
                                                                                                              document the evidence-based use of
                                                      CAH and between the CAH and other                                                                              individual would be responsible for all
                                                                                                              antibiotics in all departments and
                                                      healthcare settings. We believe that a                                                                         documentation, written or electronic, of
                                                                                                              services of the CAH; and (iii)
                                                      coordinated, overall quality approach                                                                          the infection prevention and control
                                                                                                              demonstrate improvements, including
                                                      would enable CAHs to achieve results                                                                           program and its surveillance,
                                                                                                              sustained improvements, in proper
                                                      that would better serve their patients                                                                         prevention, and control activities.
                                                                                                              antibiotic use, such as through
                                                      and reduce cost. The program, as                                                                               Additionally, the infection
                                                                                                              reductions in, CDI and antibiotic
                                                      documented in its policies and                                                                                 preventionist(s)/infection control
                                                                                                              resistance in all departments and
                                                      procedures, would have to employ                                                                               professional(s) would be responsible for:
                                                                                                              services of the hospital. We believe that
                                                      methods for preventing and controlling                                                                            • Communication and collaboration
                                                                                                              these three components are essential for
                                                      the transmission of infection within the                                                                       with the CAH’s QAPI program on
                                                                                                              an effective program.
                                                      CAH setting (for example, among                                                                                infection prevention and control issues;
                                                      patients, personnel, and visitors) as well              § 485.640(b)(3) and (4) Nationally                        • Competency-based training and
                                                      as between the CAH (including                           Recognized Guidelines; and Scope and                   education of CAH personnel and staff
                                                      outpatient services) and other                          Complexity                                             including professional health care staff
                                                      institutions and healthcare settings. As                  These provisions would require the                   and, as applicable, personnel providing
                                                      discussed at section II.G of this                       CAH to ensure that the antibiotic                      services in the CAH under agreement or
                                                      preamble, we would expect CAHs to                       stewardship program adheres to the                     arrangement, on the practical
                                                      look to the CDC guidelines for guidance                 nationally recognized guidelines, as                   applications of infection prevention and
                                                      (http://www.cdc.gov/hai/pdfs/                           well as best practices, for improving                  control guidelines, policies and
                                                      guidelines/Ambulatory-Care+Checklist_                   antibiotic use. The CAH’s stewardship                  procedures;
                                                      508_11_2015.pdf.)                                       program would have to reflect the scope                   • Prevention and control of HAIs,
                                                      § 485.640(a)(3) Healthcare-Associated                   and complexity of services offered. For                including auditing of adherence to
                                                      Infections (HAIs)                                       example, we would not expect a CAH                     infection prevention and control
                                                                                                              that did not offer surgical services to                policies and procedures by CAH
                                                        We propose at § 485.640(a)(3) that the                address antibiotic stewardship issues                  personnel; and
                                                      infection prevention and control                        specific to surgical patients. We believe                 • Communication and collaboration
                                                      program include surveillance,                           these proposed requirements are                        with the antibiotic stewardship
                                                      prevention, and control of HAIs,                        necessary to promote a facility-wide                   program.
                                                      including maintaining a clean and                       culture of quality improvement.                           Finally in this CoP, at § 485.640(c)(3),
                                                      sanitary environment to avoid sources                                                                          we propose requirements for the leader
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                                                      and transmission of infection, and that                 § 485.640(c)(1), (2), and (3) Governing                of the antibiotic stewardship program
                                                      the program also address any infection                  Body; Infection Prevention and Control                 similar to the proposed responsibilities
                                                      control issues identified by public                     Professionals’; and Antibiotic                         for the CAH’s designated infection
                                                      health authorities.                                     Stewardship Program Leader’s                           preventionist(s)/infection control
                                                                                                              Responsibilities                                       professional(s) at paragraph (c)(2). We
                                                      § 485.640(a)(4) Scope and Complexity
                                                                                                                We would require that the governing                  believe that a CAH’s antibiotic
                                                        We are proposing at § 485.640(a)(4)                   body or responsible individual ensure                  stewardship program is the most
                                                      that the infection prevention and                       that the infection prevention and                      effective means for ensuring appropriate
                                                      control program reflects the scope and                  control issues identified by the infection             antibiotic use. We also believe that such


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                                                      39464                   Federal Register / Vol. 81, No. 116 / Thursday, June 16, 2016 / Proposed Rules

                                                      a program would require a leader                        even in areas where no specific                        National Advisory Committee on Rural
                                                      responsible and accountable for its                     deficiencies are noted. A QAPI program                 Health and Human Services. Health
                                                      success. Therefore, we propose that the                 enables the organization to review                     Care Quality: The Rural Context. April,
                                                      leader of the antibiotic stewardship                    systematically its operating systems and               2003; p. 6–10). The focus remains on
                                                      program would be responsible for the                    processes of care to identify and                      providing the right service at the right
                                                      development and implementation of a                     implement opportunities for                            time in the right way to achieve the
                                                      facility-wide antibiotic stewardship                    improvement.                                           optimal outcome. The only rural-urban
                                                      program, based on nationally recognized                    An effective QAPI program that is                   variable within that equation is the
                                                      guidelines, to monitor and improve the                  engaged in continuous improvement                      context. While the notion of quality
                                                      use of antibiotics. We also propose that                efforts is essential to a provider’s ability           remains constant, the settings in which
                                                      the leader of the antibiotic stewardship                to provide high quality and safe care to               the care is provided—including their
                                                      program would be responsible for all                    its patients, while reducing the                       structures and processes (for example,
                                                      documentation, written or electronic, of                incidence of medical errors and adverse                transferring patients to larger facilities
                                                      antibiotic stewardship program                          events. However, patient harm still                    vs. being able to keep them for
                                                      activities. The leader would also be                    remains a considerable problem in our                  observation)—can be quite different.
                                                      responsible for communicating and                       nation’s hospitals. The IOM report, ‘‘To               The most elementary differences have to
                                                      collaborating with medical and nursing                  Err Is Human: Building a Safer Health                  do with scope and scale.
                                                      staff, pharmacy leadership, and the                     System,’’ focused widespread attention                    The 2004 IOM Report, ‘‘Quality
                                                      CAH’s infection prevention and control                  on the problem of adverse events and is                Through Collaboration: The Future of
                                                      and QAPI programs, on antibiotic use                    a call to action for the entire health care            Rural Health,’’ reports that to improve
                                                      issues.                                                 system. (L.T. Kohn, J.M. Corrigan, and                 quality, rural providers, like their urban
                                                         Finally, we propose that the leader                  M.S. Donaldson, eds., To Err Is Human:                 counterparts, must adopt a
                                                      would be responsible for the                            Building a Safer Health System, A                      comprehensive approach to quality
                                                      competency-based training and                           Report of the Committee on Quality of                  improvement (National Research
                                                      education of CAH personnel and staff,                   Health Care in America, p. 102, IOM,                   Council. Quality Through Collaboration:
                                                      including medical staff, and, as                        National Academy Press, 2000.) The                     The Future of Rural Health Care.
                                                      applicable, personnel providing                         report highlighted patient injuries                    Washington, DC: The National
                                                      contracted services in the CAHs, on the                 associated with medical errors. More                   Academies Press, 2005. http://
                                                      practical applications of antibiotic                    recent reports, however, document that                 www.iom.edu/Reports/2004/Quality-
                                                      stewardship guidelines, policies, and                   the problems identified in ‘‘To Err is                 Through-Collaboration-The-Future-of-
                                                      procedures.                                             Human’’ have not yet been resolved. A                  Rural-Health.aspx#sthash.2zF6T8kE.
                                                                                                              2010 Office of the Inspector General                   dpuf). This approach needs to
                                                      5. Quality Assessment and Performance
                                                                                                              Report estimated that during October
                                                      Improvement (QAPI) Program                                                                                     encompass clinical knowledge and the
                                                                                                              2008, 13.5 percent of hospitalized
                                                      (§ 485.641)                                                                                                    tools necessary to apply this knowledge
                                                                                                              Medicare beneficiaries experienced
                                                         Since May 26, 1993 (58 FR 30630), the                                                                       to practice, including practice
                                                                                                              adverse events during their hospital
                                                      ‘‘Periodic evaluation and quality                                                                              guidelines and computer-aided decision
                                                                                                              stays (Department of Health and Human
                                                      assurance review’’ CoP (§ 485.641) has                                                                         support, standardized performance
                                                                                                              Services Office of Inspector General,
                                                      not been updated to reflect current                                                                            measures, performance measurement
                                                                                                              ‘‘Adverse Events in Hospitals: National
                                                      industry standards that utilize the QAPI                                                                       and data feedback capabilities, and
                                                                                                              Incidence Among Medicare
                                                      model (§ 482.21) to assess and improve                                                                         quality improvement processes and
                                                                                                              Beneficiaries’’ (OEI–06–09–00090). A
                                                      patient care. Currently, a CAH is                                                                              resources.
                                                                                                              2013 literature review concluded that at
                                                      required to evaluate its total program                                                                            A QAPI program would enable a CAH
                                                                                                              least 210,000 deaths per year were
                                                      (for example, policies and procedures                                                                          to systematically review its operating
                                                                                                              associated with preventable harm in
                                                      and services provided) annually. The                                                                           systems and processes of care to identify
                                                                                                              hospitals. The evidence indicates that
                                                      evaluation must include reviewing the                                                                          and implement opportunities for
                                                                                                              patients are being harmed every day in
                                                      utilization of the CAH services using a                                                                        improvement. We also believe that the
                                                                                                              hospitals across the country and that
                                                      representative sample of both active and                                                                       leadership or governing body or
                                                                                                              more work is needed to reduce this
                                                      closed clinical records, as well as                                                                            responsible individual of a CAH must
                                                                                                              harm.
                                                      reviewing the facility’s health care                       In ‘‘To Err is Human,’’ an error is                 be responsible and accountable for
                                                      policies. The purpose of the evaluation                 defined as ‘‘the failure of a planned                  patient safety, including the reduction
                                                      is to determine whether the utilization                 action to be completed as intended or                  of medical errors in the facility.
                                                      of services was appropriate, the                        the use of a wrong plan to achieve an                     We propose to revise § 485.641 to set
                                                      established policies were followed, and                 aim.’’ Examples of medical errors                      forth new explicit requirements for a
                                                      if any changes are needed. The CAH’s                    include:                                               QAPI program at a CAH. We believe that
                                                      staff considers the findings of the                        • Medication administration errors                  much of the work and resources that are
                                                      evaluation and takes the necessary                      (for example, wrong medication, wrong                  currently required under the existing
                                                      corrective action. These requirements                   dosage, wrong route, wrong time, wrong                 periodic evaluation and quality
                                                      focus on how well the CAH adhered to                    patient.);                                             assurance CoP would be utilized to
                                                      the evaluation standards and require the                   • Equipment failures (for example,                  adhere to the new QAPI requirement. As
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                                                      CAH to document its efforts. The                        defibrillator without working batteries,               noted previously, we propose to retain
                                                      existing annual evaluation and quality                  etc.); and                                             the requirements under paragraphs
                                                      assurance review requirements at                           • Diagnostic errors.                                § 485.641(b)(3) and (4) regarding the
                                                      § 485.641 are reactive; that is, once a                    A 2003 report by The National                       evaluation of the diagnosis and
                                                      problem has been identified, the health                 Advisory Committee on Rural Health                     treatment furnished by physicians and
                                                      care facility takes action to correct it.               and Human Services to the Secretary of                 non-physician practitioners; we are
                                                         The focus of a QAPI program is to                    the HHS notes that the general concept                 proposing that this be moved from the
                                                      proactively maximize quality                            of health care quality does not change                 ‘‘Periodic evaluation and quality
                                                      improvement activities and programs,                    from urban to rural settings (The                      assurance’’ CoP, and relocate them to a


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                                                                              Federal Register / Vol. 81, No. 116 / Thursday, June 16, 2016 / Proposed Rules                                          39465

                                                      new standard under the ‘‘Staffing and                   CAH’s specific context. The QAPI                       485.641(d) Program Activities
                                                      staff responsibilities’’ CoP at § 485.631.              program would be designed to monitor                      We propose at § 485.641(d), ‘‘Program
                                                         CAHs are currently required to have                  and evaluate performance of all services               activities’’, that for each of the areas
                                                      an effective quality assurance program                  and programs of the CAH. In proposed                   discussed in paragraphs (b) and (c) of
                                                      to evaluate the quality and                             paragraphs (b)(2) and (3), we would                    this section, the CAH would have to:
                                                      appropriateness of the diagnosis and                    require the CAH to design a QAPI                          • Focus on measures related to
                                                      treatment furnished in the CAH and of                   program that would be on-going and                     improved health outcomes that are
                                                      the treatment outcomes. We are                          comprehensive, involving all                           shown to be predictive of desired
                                                      proposing that, under § 485.641, the                    departments of the CAH and services,                   patient outcomes;
                                                      CAH be required to develop, implement,                  including those services furnished                        • Use the measures to analyze and
                                                      and maintain an effective, ongoing,                     under contract or arrangement. In                      track its performance; and
                                                      facility-wide, and data-driven QAPI                     proposed paragraph (b)(4), we would                       • Set priorities for performance
                                                      program. The QAPI program would
                                                                                                              require CAHs to use objective measures                 improvement, considering either high-
                                                      have to be appropriate for the
                                                                                                              in their QAPI program to evaluate its                  volume, high-risk services, or problem-
                                                      complexity of the CAH’s organization
                                                                                                              organizational processes, functions, and               prone areas.
                                                      and services provided.
                                                                                                              services. We also propose at paragraph                    Analyses would be expected to be
                                                         We propose to rename the current
                                                                                                              (b)(5) that the CAH’s QAPI program                     conducted at regular intervals to enable
                                                      ‘‘Periodic evaluation and quality
                                                                                                              would address outcome indicators                       the CAH to identify areas or
                                                      assurance review’’ provisions at
                                                                                                              related to improved health outcomes                    opportunities for improvement.
                                                      § 485.641 ‘‘Condition of participation:
                                                      Quality assessment and performance                      and the prevention and reduction of                    § 485.641(e) Performance Improvement
                                                      improvement program.’’ At § 485.641,                    medical errors, adverse events, hospital-              Projects
                                                      we also propose to revise and replace                   acquired conditions, and transitions of
                                                                                                              care, including readmissions.                             We propose at § 485.641(e),
                                                      the current standards with the new                                                                             ‘‘Performance Improvement Projects,’’
                                                      proposed QAPI program containing the                    § 485.641(c) Governance and Leadership                 that a CAH would have to conduct
                                                      following six parts: (a) Definitions; (b)                                                                      distinct performance improvement
                                                      QAPI program design and scope; (c)                         We propose at § 485.641(c) that the                 projects that are proportional to the
                                                      Governance and leadership; (d) Program                  CAH’s governing body or responsible                    scope and complexity of the CAH’s
                                                      activities; (e) Performance improvement                 individual be ultimately responsible for               services and operations. We also
                                                      projects; and (f) Program data collection               the CAH’s QAPI program and at                          propose that the CAH would be required
                                                      and analysis.                                           paragraph (c)(1) be responsible and                    to maintain and demonstrate written or
                                                      § 485.641(a) Definitions                                accountable for ensuring that clear                    electronic evidence and documentation
                                                                                                              expectations for safety are                            of its QAPI projects.
                                                         We have proposed at paragraph
                                                      § 485.641(a) to provide definitions for                 communicated, implemented, and
                                                                                                                                                                     § 485.641(f) Program Data Collection
                                                      the following terms: ‘‘adverse event,’’                 followed throughout the CAH. At
                                                                                                                                                                     and Analysis
                                                      ‘‘error,’’ and ‘‘medical error.’’ We                    § 485.641(c)(2), we propose that the
                                                                                                              QAPI efforts address priorities for                      Collecting and analyzing data is
                                                      propose the same definition of ‘‘adverse
                                                                                                              improving quality of care and patient                  fundamental to quality improvement.
                                                      event’’ currently found at § 482.70. We
                                                                                                              safety. At paragraph (c)(3), all                       The CAH should be able to demonstrate
                                                      are also proposing the definitions of
                                                                                                              improvement actions would be                           that the data it collects measure the
                                                      ‘‘error’’ and ‘‘medical error’’ that are
                                                                                                              evaluated and modified as needed by                    quality of patient care. Therefore, we
                                                      largely drawn from the IOM. We believe
                                                                                                              the designated CAH staff. We propose at                propose at § 485.641(f)(1) and (2) that a
                                                      that most CAHs are aware of these
                                                                                                              paragraph (c)(4) that the governing body               CAH’s QAPI program be required to
                                                      terms, but we are proposing to provide
                                                                                                              or responsible individual exercising                   incorporate quality indicator data
                                                      the following standard definitions:
                                                         • ‘‘Adverse event’’ means an                         management authority over the CAH                      including patient care data, quality
                                                      untoward, undesirable, and usually                      ensure that adequate resources are                     measures data, and other relevant data.
                                                      unanticipated event that causes death or                allocated for measuring, assessing,                    The CAH must use the data collected to
                                                      serious injury or the risk thereof;                     improving, and sustaining the CAH’s                    monitor the effectiveness and safety of
                                                         • ‘‘Error’’ means the failure of a                                                                          services provided and quality of care. A
                                                                                                              performance and reducing risk to
                                                      planned action to be completed as                                                                              CAH must also identify opportunities
                                                                                                              patients. Once this rule is finalized,
                                                      intended or the use of a wrong plan to                                                                         for improvement and changes that will
                                                                                                              CMS will develop the appropriate
                                                      achieve an aim. Errors can include                                                                             lead to improvement. Since 2011, the
                                                                                                              subregulatory guidance so that                         Medicare Beneficiary Quality
                                                      problems in practice, products,                         surveyors will be able to determine
                                                      procedures, and systems; and                                                                                   Improvement Project (MBQIP),
                                                                                                              what constitutes ‘‘adequate resources.’’
                                                         • ‘‘Medical error’’ means an error that              In proposed paragraphs (c)(5) and (6),
                                                                                                                                                                     supported by the Federal Office of Rural
                                                      occurs in the delivery of healthcare                                                                           Health Policy’s Medicare Rural Hospital
                                                                                                              we would require the governing body or                 Flexibility Grant Program, has
                                                      services.
                                                                                                              responsible individual to be responsible               encouraged CAHs to collect and report
                                                      § 485.641(b) QAPI Program Design and                    for annually determining the number of                 quality data and has provided a means
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                                                      Scope                                                   distinct quality improvement projects                  for CAHs to monitor the quality of care
                                                        At proposed § 485.641(b)(1) ‘‘Program                 the CAH would conduct. They would                      they provide and identify opportunities
                                                      design and scope,’’ we would require                    also be responsible for the CAH                        for improvement. To the extent that the
                                                      the CAH to have a QAPI program that                     developing and implementing policies                   MBQIP meets the proposed
                                                      would be appropriate for the complexity                 and procedures for QAPI that address                   requirements for incorporating quality
                                                      of the CAH’s organization and services.                 what actions the CAH staff should take                 indicator data in its QAPI program, CAH
                                                      This means that every CAH would                         to prevent and report unsafe patient care              adherence to the requirements of
                                                      utilize performance improvement                         practices, medical errors, and adverse                 MBQIP is one such way that the CAH’s
                                                      measures that would be sensitive to that                events.                                                QAPI program data collection


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                                                      39466                   Federal Register / Vol. 81, No. 116 / Thursday, June 16, 2016 / Proposed Rules

                                                      requirements can be satisfied. MBQIP                    person, where appropriate, is informed                 the wealth of important quality data
                                                      uses a rural-relevant subset of data                    of the right to be free from                           available to hospitals through several
                                                      based on Medicare quality reporting                     discrimination against them on any of                  quality data reporting programs.
                                                      program. Current MBQIP measures and                     the aforementioned bases when he or                    Specifically, we propose to require that
                                                      information resources for data analysis                 she is informed of his or her other rights             the hospital QAPI program must
                                                      and performance improvement can be                      under § 482.13(a)(1). The burden                       incorporate quality indicator data
                                                      found at https://www.ruralcenter.org/                   associated with this requirement is the                including patient care data, and other
                                                      tasc/mbqip. We propose at paragraph                     time and effort necessary for a hospital               relevant data such as data submitted to
                                                      (f)(3) that the CAH’s governing body or                 to develop written policies and                        or received from quality reporting and
                                                      responsible individual must approve the                 procedures with respect to the rights of               quality performance programs,
                                                      frequency and the details of data                       patients to be free from discrimination                including, but not limited to, data
                                                      collection.                                             and to distribute that information to the              related to hospital readmissions and
                                                                                                              patients.                                              hospital-acquired conditions. Hospitals
                                                      6. Technical Corrections                                  We believe that most hospitals                       are likely to be participating in one or
                                                         We propose to correct a typographical                already have established policies and                  more existing quality reporting and
                                                      error in the regulations at § 485.645 by                procedures regarding the rights of                     quality performance programs such as
                                                      correcting the word ‘‘provided’’ to                     patients to be free from discrimination.               the Hospital Inpatient Quality Reporting
                                                      ‘‘provide’’ in the lead first sentence.                 Additionally, we believe that most                     program, the Hospital Value-Based
                                                                                                              hospitals include the anti-                            Purchasing Program, the Hospital
                                                      III. Collection of Information
                                                                                                              discrimination policies and procedures                 Acquired Condition Reduction program,
                                                      Requirements
                                                                                                              as part of their standard notice of                    Hospital Compare, the Medicare and
                                                         Under the Paperwork Reduction Act                    patient rights. The burden associated                  Medicaid Electronic Health Record
                                                      of 1995, we are required to provide 60-                 with the notice of patient rights is                   Incentive Programs, the Hospital
                                                      day notice in the Federal Register and                  currently approved under OMB control                   Outpatient Quality Reporting program,
                                                      solicit public comment before a                         number 0938–0328.                                      and the Joint Commission’s Quality
                                                      collection of information requirement is                  We will be submitting a revision of                  CheckTM. Since a hospital is already
                                                      submitted to the Office of Management                   the currently approved information                     collecting and reporting quality
                                                      and Budget (OMB) for review and                         collection request to account for the                  measures data for these programs, we do
                                                      approval. In order to fairly evaluate                   following burden.                                      not believe that this proposed change
                                                      whether an information collection                         We estimate that 4,900 hospitals must                would increase the information
                                                      should be approved by OMB, section                      comply with the aforementioned                         collection burden for hospitals.
                                                      3506(c)(2)(A) of the Paperwork                          information collection requirements. We                C. ICRs Regarding Nursing Services
                                                      Reduction Act of 1995 requires that we                  further estimate that it will take each                (§ 482.23)
                                                      solicit comment on the following issues:                hospital 0.25 hours to comply with the
                                                         • The need for the information                       requirement in proposed § 482.13(i).                      We propose to revise § 482.23(b),
                                                      collection and its usefulness in carrying               The total estimated annual burden                      which currently states ‘‘There must be
                                                      out the proper functions of our agency.                 associated with this requirement is                    supervisory and staff personnel for each
                                                         • The accuracy of our estimate of the                1,225 hours (4,900 hospitals × .25) at a               department or nursing unit to ensure,
                                                      information collection burden.                          cost of $83,300 (1,225 hours × $68 for                 when needed, the immediate
                                                         • The quality, utility, and clarity of               a nurse’s hourly salary).                              availability of a registered nurse for
                                                      the information to be collected.                                                                               bedside care of any patient,’’ to delete
                                                         • Recommendations to minimize the                    B. ICRs Regarding Quality Assessment                   the term ‘‘bedside,’’ which might imply
                                                      information collection burden on the                    and Performance Improvement                            only inpatient services to some readers.
                                                      affected public, including automated                    (§ 482.21)                                             The nursing service must ensure that
                                                      collection techniques.                                     The existing QAPI CoP requires each                 patient needs are met by ongoing
                                                         We are soliciting public comment on                  hospital to:                                           assessments of patients’ needs and must
                                                      each of these issues for the following                     • Develop, implement, maintain, and                 provide nursing staff to meet those
                                                      sections of this document that contain                  evaluate its’ own QAPI program;                        needs regardless of whether the patient
                                                      information collection requirements                        • Establish a QAPI program that                     is an inpatient or an outpatient. We
                                                      (ICRs).                                                 reflects the complexity of its                         propose to allow a hospital to establish
                                                                                                              organization and services;                             a policy that would specify which, if
                                                      A. ICRs Regarding Patient’s Rights
                                                                                                                 • Establish a QAPI program that                     any, outpatient units would not be
                                                      (§ 482.13)
                                                                                                              involves all hospital departments and                  required to have an RN physically
                                                         Proposed § 482.13(i) would establish                 services and focuses on improving                      present as well as the alternative staffing
                                                      explicit requirements that a hospital not               health outcomes and preventing and                     plans that would be established under
                                                      discriminate against a patient or                       reducing medical errors; and                           such a policy. We would require such
                                                      applicant for services on the basis of                     • Maintain and demonstrate evidence                 a policy to take into account factors
                                                      race, color, religion, national origin, sex             of its QAPI program for review by CMS.                 such as the services delivered; the
                                                      (including gender identity), sexual                        We are proposing a minor change to                  acuity of patients typically served by the
                                                      orientation, or disability and that the                 the program data requirements at                       facility; and the established standards of
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                                                      hospital establish and implement a                      § 482.21(b). Currently, we require that                practice for such services. In addition,
                                                      written policy prohibiting                              hospitals incorporate quality indicator                we would propose that the policy must
                                                      discrimination against a patient or                     data including patient care data, and                  be approved by the medical staff and be
                                                      applicant for services on the basis of                  other relevant data, for example,                      reviewed annually. TJC-accredited
                                                      race, color, religion, national origin, sex             information submitted to, or received                  hospitals are already allowed this
                                                      (including gender identity), sexual                     from, the hospital’s Quality                           flexibility in nursing services policy.
                                                      orientation, or disability. We propose to               Improvement Organization.                              Those hospitals that use their TJC
                                                      further require that each patient or                       We propose to update this                           accreditation for deeming purposes are
                                                      applicant for services, and/or support                  requirement to reflect and capitalize on               required to have ‘‘Leaders [who] provide


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                                                                              Federal Register / Vol. 81, No. 116 / Thursday, June 16, 2016 / Proposed Rules                                            39467

                                                      for a sufficient number and mix of                      information collection request (0938–                  disposition of cases, and provisions for
                                                      individuals to support safe, quality care,              NEW).                                                  follow-up care for all inpatient and
                                                      treatment, and services. (Note: The                                                                            outpatient visits to reflect the scope of
                                                                                                              D. ICRs Regarding Medical Record
                                                      number and mix of individuals is                                                                               all services received by the patient. We
                                                                                                              Services (§ 482.24)
                                                      appropriate to the scope and complexity                                                                        believe that these changes would clarify
                                                      of the services offered.)’’ (CAMH,                         We are proposing to make changes to                 the importance of discharge summaries
                                                      Standard LD.03.06.01, EP 3). Further,                   several of the provisions in this CoP so               for patients being discharged home as
                                                      TJC-accredited hospitals also require the               that the requirements are clearer                      well as the importance of transfer
                                                      ‘‘nurse executive, registered nurses, and               regarding the distinctions between a                   summaries for patients being transferred
                                                                                                              patient’s inpatient and outpatient status              to post-acute care facilities such as
                                                      other designated nursing staff [to] write:
                                                                                                              and the subtle differences between                     nursing homes or inpatient
                                                      Nursing policies and procedures.’’
                                                                                                              certain aspects of medical record                      rehabilitation facilities. In addition, we
                                                      (CAMH, Standard NR.02.02.01, EP 3).
                                                                                                              documentation related to each status.                  recognize the distinction between the
                                                      Therefore, we expect that TJC-                             The current requirements at
                                                      accredited hospitals already have the                                                                          services received by inpatient and those
                                                                                                              § 482.24(c) state that the content of the              received by outpatients by proposing to
                                                      policies and procedures that satisfy the                medical record must contain                            include language that distinguishes
                                                      requirements in this subsection,                        ‘‘information to justify admission and                 between the inpatient and the
                                                      including medical staff approval and                    continued hospitalization, support the                 outpatient experiences.
                                                      annual review. If there are any tasks that              diagnosis, and describe the patient’s                     Finally, we emphasize the
                                                      a TJC-accredited hospital may need to                   progress and response to medications                   distinctions between discharges and
                                                      complete to satisfy the requirement for                 and services.’’ While we believe that                  transfers as well as between inpatients
                                                      this subsection, we expect that the                     these terms are appropriate for                        and outpatients by proposing to revise
                                                      burden imposed would be negligible.                     inpatients, they do not fully capture the              § 482.24(c)(4)(viii) so that the content of
                                                      Thus, for the approximately 3,900 TJC-                  specific documentation necessary for                   the medical record would contain ‘‘final
                                                      accredited hospitals the development of                 outpatients. Therefore, we propose to                  diagnoses with completion of medical
                                                      policies and procedures that would                      revise the current regulatory language to              records within 30 days following all
                                                      satisfy this subsection would constitute                require that the content of the medical                inpatient stays and within 7 days
                                                      a usual and customary business practice                 record must contain ‘‘information to                   following all outpatient visits.’’
                                                      as defined at 5 CFR 1320.3(b)(2).                       justify all admissions and continued                      We believe that hospitals would need
                                                         The non TJC-accredited hospitals                     hospitalizations, support the diagnoses,               to review their current policies and
                                                      would need to review their current                      describe the patient’s progress and                    procedures and update them so that
                                                      policies and procedures and update                      responses to medications and services,                 they comply with the requirements in
                                                      them so that they comply with the                       and document all inpatient and                         proposed § 482.24(c). This would be a
                                                      requirements in proposed § 482.23(b).                   outpatient visits to reflect the scope of              one-time burden on the hospital. We
                                                                                                              all services received by the patient.’’                estimate that this would require a
                                                      This would be a one-time burden on the
                                                                                                                 Similarly, we propose to revise                     physician, a nurse, and one
                                                      hospital. We estimate that this would                   § 482.24(c)(4)(ii) from the current
                                                      require a physician, a nurse, and one                                                                          administrator. Physicians earn an
                                                                                                              requirement for documentation of                       average hourly salary of $187,
                                                      administrator. Physicians earn an                       ‘‘admitting diagnosis’’ to include ‘‘all
                                                      average hourly salary of $187,                                                                                 administrators earn an average hourly
                                                                                                              inpatient and outpatient diagnoses,’’                  salary of $174, and registered nurses
                                                      administrators earn an average hourly                   which would include any admitting                      earn an hourly salary of $68 (2014 BLS
                                                      salary of $174, and registered nurses                   diagnoses. Within this same standard,                  Wage Data by Area and Occupation at
                                                      earn an hourly salary of $68 (2014 BLS                  we are proposing to update several                     http://www.bls.gov/bls/blswage.htm,
                                                      Wage Data by Area and Occupation at                     terms to reflect more current                          adjusted upward by 100 percent to
                                                      http://www.bls.gov/bls/blswage.htm,                     terminology and standards of practice.                 include fringe benefits and overhead
                                                      adjusted upward by 100 percent to                       Therefore, at § 482.24(c)(4)(iv), we                   costs). We estimate that each person
                                                      include fringe benefits and overhead                    propose to require that the content of                 would spend three hours on this activity
                                                      costs). We estimate that each person                    the record include ‘‘documentation of                  for a total of nine hours at a cost of
                                                      would spend three hours on this activity                complications, hospital-acquired                       $1,287 (3 hours × $68 for a nurse’s
                                                      for a total of nine hours at a cost of                  conditions, healthcare-associated                      hourly salary + 3 hours × $174 for an
                                                      $1,287 (3 hours × $68 for a nurse’s                     infections, and unfavorable reactions to               administrator’s hourly salary + 3 hours
                                                      hourly salary + 3 hours × $174 for an                   drugs and anesthesia.’’ We also propose                × $187 for a physician’s hourly salary =
                                                      administrator’s hourly salary + 3 hours                 changes to § 482.24(c)(4)(vi) to add                   $1,287). For all 4,900 hospitals to
                                                      × $187 for a physician’s hourly salary =                ‘‘progress notes’’ to the required                     comply with this requirement, we
                                                      $1,287). For all 1,000 non-TJC-                         documentation of ‘‘practitioners’                      estimate a total one-time cost of
                                                      accredited hospitals to comply with this                orders’’ to emphasize the necessary                    approximately $6.3 million (4,900
                                                      requirement, we estimate a total one-                   documentation for both inpatients and                  hospitals × $1,287). The burden
                                                      time cost of approximately $1.3 million                 outpatients. And we propose to add the                 associated with these requirements is
                                                      (1,000 hospitals × $1,287). We estimate                 phrase ‘‘to reflect the scope of all                   captured in an information collection
                                                      that annual review of the policies and                  services received by the patient.’’                    request (0938–NEW).
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                                                      procedures would take one hour for                         Continuing under this standard
                                                      each individual included for a total                    detailing the contents of the medical                  E. ICRs Regarding Provision of Services
                                                      annual cost of $429,000 ((1 hour × $68                  record, we propose to make revisions to                (§ 485.635)
                                                      for a nurse’s hourly salary + 1 hour ×                  the final two provisions under this                       Section 485.635(g) would require that
                                                      $174 for an administrator’s hourly                      standard. We propose to change                         a CAH not discriminate against patients
                                                      salary + 1 hour × $187 for a physician’s                § 482.24(c)(4)(vii) to require that all                or applicants for service on the basis of
                                                      hourly salary) × 1,000 hospitals). The                  patient medical records must document                  race, color, religion, national origin, sex
                                                      burden associated with these                            discharge and transfer summaries with                  (including gender identity), sexual
                                                      requirements is captured in an                          outcomes of all hospitalizations,                      orientation, or disability and that the


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                                                      39468                   Federal Register / Vol. 81, No. 116 / Thursday, June 16, 2016 / Proposed Rules

                                                      CAH establish and implement a written                   records, as well as reviewing the                      hours each. We would estimate that the
                                                      policy prohibiting discrimination                       facility’s health care policies. The                   physician would have a limited amount
                                                      against patients or applicants for service              purpose of the evaluation is to                        of time, approximately 1 hour to devote
                                                      on the basis of race, color, religion,                  determine whether the utilization of                   to the QAPI activities. Additionally, we
                                                      national origin, sex (including gender                  services was appropriate, the                          estimate these activities would require 4
                                                      identity), sexual orientation, or                       established policies were followed, and                hours of an administrator’s time, 4
                                                      disability. We propose to further require               if any changes are needed. The CAH’s                   hours of a mid-level practitioner’s time,
                                                      that each patient, and/or support                       staff considers the findings of the                    14 hours of a nurse’s time, and 2 hours
                                                      person, where appropriate, be informed,                 evaluation and takes corrective action, if             of a clerical staff person’s time for a total
                                                      in a language he or she can understand,                 necessary (42 CFR 485.641(b)(5)(i)).                   of 25 burden hours. We believe that the
                                                      of the right to be free from                            Thus, we believe that all of the CAHs                  CAH’s QAPI leadership (formerly the
                                                      discrimination against them on any of                   are performing the activities that are                 periodic evaluation and quality
                                                      the aforementioned bases (HHS OCR                       required to comply with many of the                    assurance leadership) would need to
                                                      Compliance Review Initiative:                           requirements in proposed § 485.641.                    meet periodically to review and discuss
                                                      ‘‘Advancing Effective Communication                     However, we also believe that the CAHs                 the changes that would need to be made
                                                      In Critical Access Hospitals’’ April 2013               would need to review their current                     to their program. We also believe that a
                                                      http://www.hhs.gov/sites/default/files/                 quality assurance program and revise                   nurse would likely spend more time
                                                      ocr/civilrights/activities/agreements/                  and, if needed, develop new provisions                 developing the program with the mid-
                                                      compliancereview_initiative.pdf). The                   to ensure compliance with the proposed                 level practitioner. The physician would
                                                      burden associated with this requirement                 requirements.                                          likely review and approve the program.
                                                      is the time and effort necessary for a                     TJC accreditation standards for                     The clerical staff member would
                                                      CAH to develop written policies and                     performance improvement (PI) already                   probably assist with the program’s
                                                      procedures with respect to the rights of                require that CAHs collect, compile, and                development and ensure that the
                                                      patients to be free from discrimination                 analyze to monitor their performance                   program was disseminated to all of the
                                                      and to distribute that information to the               (TJC Accreditation Standard PI.01.01.01                necessary parties in the CAH.
                                                      patients.                                               and PI.02.01.01). These TJC-accredited                    Since a CAH is currently required to
                                                         We estimate that 1,328 CAHs must                     CAHs must also improve their                           evaluate its total program and evaluate
                                                      comply with the aforementioned                          performance on an ongoing basis (TJC                   the quality and appropriateness of the
                                                      information collection requirements. We                 Accreditation Standard PI.03.01.01).                   services furnished, take appropriate
                                                      further estimate that it will take each                 Thus, we believe that the 324 TJC-                     action to address deficiencies and
                                                      CAH 0.25 hours to comply with the                       accredited CAHs are already in                         document such activities, we believe
                                                      requirement in proposed § 485.635(g).                   compliance with the requirements in                    that the resources utilized on the
                                                      The total estimated annual burden                       proposed § 485.641. However, each                      current QA program would be utilized
                                                      associated with this requirement is 332                 CAH would need to review their current                 for the ongoing QAPI activities under
                                                      hours (1,328 hospitals × .25) at a cost of              practice to ensure that they are in                    proposed § 485.641(b)–(f). Thus, we
                                                      $22,576 (332 hours × $68 for a nurse’s                  compliance with all of the requirements                estimate that for each CAH to comply
                                                      hourly salary).                                         under § 485.641. Any additional tasks                  with the requirements in this section it
                                                                                                              those CAHs would need to comply with                   would require 25 burden hours (1 for a
                                                      F. ICRs Regarding Condition of
                                                                                                              the requirements for this section should               physician + 4 for an administrator + 4
                                                      Participation: Quality Assessment and
                                                                                                              result in a negligible burden, if any.                 for a mid-level practitioner + 14 for a
                                                      Performance Improvement Program
                                                                                                              Thus, the burden for these activities for              nurse + 2 for a clerical staff person = 25
                                                      (§ 485.641)
                                                                                                              the 324 TJC-accredited CAHs will be                    burden hours) at a cost of $1,975 ($187
                                                         Proposed § 485.641 would require                     excluded from the burden analysis                      for a physician + $392 for an
                                                      CAHs to develop, implement, and                         because they constitute usual and                      administrator (4 hours × $98) + $380 for
                                                      maintain an effective, ongoing, CAH-                    customary business practices in                        a mid-level practitioner (4 hours × $95)
                                                      wide, data-driven QAPI program. The                     accordance with 5 CFR 1320.3(b)(2).                    + $952 (14 hours × $68 for a nurse) +
                                                      QAPI program must be appropriate for                       The 1,004 non TJC-accredited CAHs                   $64 for a clerical staff person (2 hours
                                                      the complexity of the CAH’s                             would need to review their current                     × $32). Therefore, for all 1,004 non TJC-
                                                      organization and the services it                        programs and then revise and develop                   deemed CAHs to comply with these
                                                      provides. In addition, CAHs must                        new provisions of their programs to                    requirements, it would require 25,100
                                                      comply with all of the requirements set                 ensure compliance with the proposed                    burden hours (25 × 1,004 non TJC-
                                                      forth in proposed § 485.641(b) through                  requirements. We believe that the CAH                  deemed CAHs) at a cost of
                                                      (g).                                                    QAPI leadership (consisting of a                       approximately $2 million ($1,975 for
                                                         The current CAH CoPs at § 485.641                    physician, and/or administrator, mid-                  each CAH × 1,004 non TJC-deemed
                                                      require CAHs to have an effective                       level practitioner, and a nurse) would                 CAHs). We note here the difference in
                                                      quality assurance program to evaluate                   need to have at least two meetings to                  hourly salary between a hospital CEO/
                                                      the quality and appropriateness of the                  ensure that the current annual                         administrator ($174) and a CAH CEO/
                                                      diagnosis and treatment furnished in the                evaluation and quality assurance (QA)                  administrator ($98). The burden
                                                      CAH and the treatment outcomes. CAHs                    program is transitioned into the                       associated with these requirements is
                                                      are currently required to conduct a                     proposed QAPI format. The first                        captured in an information collection
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                                                      periodic evaluation and quality                         meeting would be to discuss the current                request (0938-NEW).
                                                      assurance review (42 CFR 485.641(a)).                   quality assurance program and what                        If you comment on these information
                                                      They are required to evaluate its total                 needs to be included based on the new                  collection and recordkeeping
                                                      program (for example, policies and                      proposed QAPI provision. The second                    requirements, please do either of the
                                                      procedures and services provided)                       meeting would be to discuss strategies                 following:
                                                      annually. The evaluation must include                   to update the current policies, and then                  1. Submit your comments
                                                      reviewing the utilization of the CAH                    to discuss the process for incorporating               electronically as specified in the
                                                      services using a representative sample                  those changes. We believe that these                   ADDRESSES section of this proposed rule;
                                                      of both active and closed clinical                      meeting would take approximately two                   or


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                                                                                      Federal Register / Vol. 81, No. 116 / Thursday, June 16, 2016 / Proposed Rules                                                                                 39469

                                                        2. Submit your comments to the                                         that are responsive to local                                                 significant’’); (2) creating a serious
                                                      Office of Information and Regulatory                                     circumstances; care coordination; and                                        inconsistency or otherwise interfering
                                                      Affairs, Office of Management and                                        providing patients, providers, and                                           with an action taken or planned by
                                                      Budget, Attention: CMS Desk Officer,                                     payers with the clear information they                                       another agency; (3) materially altering
                                                      CMS–3295–P, Fax: (202) 395–6974; or                                      need to make choices that are right for                                      the budgetary impacts of entitlement
                                                      Email: OIRA_submission@omb.eop.gov.                                      them (http://www.ahrq.gov/                                                   grants, user fees, or loan programs or the
                                                      IV. Response to Comments                                                 workingforquality/nqs/principles.htm).                                       rights and obligations of recipients
                                                                                                                               Our proposal to prohibit discrimination                                      thereof; or (4) raising novel legal or
                                                        Because of the large number of public                                  would support eliminating disparities in                                     policy issues arising out of legal
                                                      comments we normally receive on                                          care, and we believe our proposals                                           mandates, the President’s priorities, or
                                                      Federal Register documents, we are not                                   about QAPI and infection prevention                                          the principles set forth in the Executive
                                                      able to acknowledge or respond to them                                   and control and antibiotic stewardship                                       Order.
                                                      individually. We will consider all                                       programs will improve quality and                                               A regulatory impact analysis (RIA)
                                                      comments we receive by the date and                                      promote consistent national standards.                                       must be prepared for major rules with
                                                      time specified in the DATES section of                                   Our proposals regarding the term
                                                      this preamble, and, when we proceed                                                                                                                   economically significant effects ($100
                                                                                                                               licensed independent practitioners and                                       million or more in any 1 year). We
                                                      with a subsequent document, we will                                      establishing policies and protocols for
                                                      respond to the comments in the                                                                                                                        estimate that this rulemaking is
                                                                                                                               when the presence of an RN is needed                                         ‘‘economically significant’’ as measured
                                                      preamble to that document.                                               will support care coordination and                                           by the $100 million threshold, and
                                                      V. Regulatory Impact Analysis                                            quality of care. In sum, we believe our                                      hence also a major rule under the
                                                                                                                               proposed changes are necessary, timely,                                      Congressional Review Act. Accordingly,
                                                      A. Statement of Need                                                     and beneficial.                                                              we have prepared a Regulatory Impact
                                                         CMS is aware, through conversations                                                                                                                Analysis (RIA) that, to the best of our
                                                      with stakeholders and federal partners,                                  B. Overall Impact
                                                                                                                                                                                                            ability, presents the costs and benefits of
                                                      and as a result of internal evaluation                                      We have examined the impacts of this                                      the rulemaking.
                                                      and research, of outstanding concerns                                    rule as required by Executive Order
                                                      about CoPs for hospitals and CAHs,                                       12866 on Regulatory Planning and                                                The Congressional Review Act, 5
                                                      despite recent revisions. We believe that                                Review (September 30, 1993), Executive                                       U.S.C. 801 et seq., as added by the Small
                                                      the proposed revisions would alleviate                                   Order 13563 on Improving Regulation                                          Business Regulatory Enforcement
                                                      many of those concerns. In addition,                                     and Regulatory Review (January 18,                                           Fairness Act of 1996, generally provides
                                                      modernization of the requirements                                        2011), the Regulatory Flexibility Act                                        that before a rule may take effect, the
                                                      would cumulatively result in improved                                    (RFA) (September 19, 1980, Pub. L. 96–                                       agency promulgating the rule must
                                                      quality of care and improved outcomes                                    354), section 1102(b) of the Social                                          submit a rule report, which includes a
                                                      for all hospital and CAH patients. We                                    Security Act, section 202 of the                                             copy of the rule, to each chamber of the
                                                      believe that benefits would include                                      Unfunded Mandates Reform Act of 1995                                         Congress and to the Comptroller General
                                                      reduced readmissions, reduced                                            (March 22, 1995; Pub. L. 104–4),                                             of the United States. HHS will submit a
                                                      incidence of hospital-acquired                                           Executive Order 13132 on Federalism                                          report containing this rule and other
                                                      conditions (including healthcare-                                        (August 4, 1999) and the Congressional                                       required information to the U.S. Senate,
                                                      associated infections), improved use of                                  Review Act (5 U.S.C. 804(2)).                                                the U.S. House of Representatives, and
                                                      antibiotics at reduced costs (including                                     Executive Orders 12866 and 13563                                          the Comptroller General of the United
                                                      the potential for reduced antibiotic                                     direct agencies to assess all costs and                                      States prior to publication of the rule in
                                                      resistance), and improved patient and                                    benefits of available regulatory                                             the Federal Register.
                                                      workforce protections.                                                   alternatives and, if regulation is                                              This proposed rule would create
                                                         These benefits are consistent with                                    necessary, to select regulatory                                              ongoing cost savings to hospitals and
                                                      current HHS Quality Initiatives,                                         approaches that maximize net benefits                                        CAHs in many areas. We believe these
                                                      including efforts to prevent HAIs; the                                   (including potential economic,                                               savings would largely, but not entirely,
                                                      national action plan for adverse drug                                    environmental, public health and safety                                      offset any costs to hospitals and CAHs
                                                      event (ADE) prevention; the national                                     effects, distributive impacts, and                                           that would be incurred by other changes
                                                      strategy for Combating Antibiotic-                                       equity). Section 3(f) of Executive Order                                     we have proposed in this rule. The
                                                      Resistant Bacteria (CARB); and the                                       12866 defines a ‘‘significant regulatory                                     financial savings and costs are
                                                      Department’s National Quality Strategy                                   action’’ as an action that is likely to                                      summarized in the table that follows.
                                                      (http://www.ahrq.gov/                                                    result in a rule: (1) Having an annual                                       We welcome public comments on all of
                                                      workingforquality/index.html).                                           effect on the economy of $100 million                                        our burden assumptions and estimates.
                                                      Principles of the National Quality                                       or more in any 1 year, or adversely and                                      As discussed later in this regulatory
                                                      Strategy supported by this proposed                                      materially affecting a sector of the                                         impact analysis, substantial uncertainty
                                                      rule include eliminating disparities in                                  economy, productivity, competition,                                          surrounds these estimates and we
                                                      care; improving quality; promoting                                       jobs, the environment, public health or                                      especially solicit comments on either
                                                      consistent national standards while                                      safety, or state, local or tribal                                            our estimates of likely savings/costs or
                                                      maintaining support for local,                                           governments or communities (also                                             the specific regulatory changes that
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                                                      community, and State-level activities                                    referred to as ‘‘economically                                                drive these estimates.

                                                                                                          TABLE 1—SECTION-BY-SECTION ECONOMIC IMPACT ESTIMATES
                                                                                                                                                                                                                         Number of      Likely savings (+) or
                                                                                               Issue                                                                       Frequency                                      affected      costs (¥) to society
                                                                                                                                                                                                                          entities           ($ millions)

                                                      Hospitals .................................................................................   ................................................................            4,900
                                                         • Patients’ rights (ICR) ....................................................              One-time ................................................                   4,900   0.083(¥)



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                                                      39470                           Federal Register / Vol. 81, No. 116 / Thursday, June 16, 2016 / Proposed Rules

                                                                                               TABLE 1—SECTION-BY-SECTION ECONOMIC IMPACT ESTIMATES—Continued
                                                                                                                                                                                                                              Number of                Likely savings (+) or
                                                                                               Issue                                                                           Frequency                                       affected                costs (¥) to society
                                                                                                                                                                                                                               entities                     ($ millions)

                                                           • Nursing services (ICR) .................................................                   Recurring Annually .................................                             1,000        1.3(¥)
                                                           • Nursing services (ICR) .................................................                   One-time ................................................                        1,000        0.429(¥)
                                                           • Medical record services (ICR) .....................................                        One-time ................................................                        4,900        6.3(¥)
                                                                                                                                                                                                                                         4,900        20(¥)
                                                           • Infection Prevention & Control and Antibiotic Steward-                                     One-time ................................................                        2,940        >693 to 1,193(¥)
                                                             ship (RIA).                                                                                Recurring annually .................................
                                                                                                                                                        Recurring Annually .................................                              2,940       1,020(+)
                                                      CAHs    .......................................................................................   ................................................................                  1,328
                                                         •    Provision of services (ICR) ..........................................                    One-time ................................................                         1,328       0.023(¥)
                                                         •    QAPI (ICR) ...................................................................            Recurring annually .................................                              1,004       2(¥)
                                                         •    Food and dietary (RIA) ................................................                   Recurring annually .................................                                 650      Not estimated
                                                         •    Infection Prevention & Control and Antibiotic Steward-                                    One-time ................................................                         1,328       5(¥)
                                                              ship (RIA).                                                                               Recurring Annually .................................                              1,328       45(¥)
                                                                                                                                                        Recurring Annually .................................                              1,328       37(+)
                                                           Sub-Total Savings ............................................................               ................................................................   ........................   1,057(+)
                                                           Sub-Total Costs ...............................................................              ................................................................   ........................   >773 to 1,273(¥)
                                                           Overall Savings Net of Costs ..........................................                      ................................................................   ........................   <¥216 to 284(+)
                                                       Note: This table includes entries only for those proposed reforms that we believe would have a measurable economic effect; includes esti-
                                                      mates from ICRs and RIAs.


                                                      C. Anticipated Effects                                                      wages and fringe benefits, at http://                                         Infection Control and Antibiotic
                                                                                                                                  www.bls.gov/bls/blswage.htm and                                               Stewardship (Infection Prevention and
                                                      1. Effects on Hospitals and CAHs
                                                                                                                                  http://www.bls.gov/ncs/ect/).                                                 Control § 482.42)
                                                         There are about 4,900 hospitals and
                                                      1,300 CAHs that are certified by                                            Licensed Independent Practitioners                                               We are revising the hospital
                                                      Medicare and/or Medicaid. We use                                            (Patients’ Rights § 482.13)                                                   requirements at 42 CFR 482.42,
                                                      these figures to estimate the potential                                        We propose to delete the modifying                                         ‘‘Infection control,’’ which currently
                                                      impacts of this proposed rule. In the                                       term ‘‘independent’’ from the CoP at                                          require hospitals to provide a sanitary
                                                      estimates that were shown in the                                            § 482.13(e)(5), as well as at                                                 environment to avoid sources and
                                                      Collection of Information Requirements                                      § 482.13(e)(8)(ii). Therefore, we are                                         transmission of infections and
                                                      section of the preamble and in the                                          proposing that § 482.13(e)(5) would now                                       communicable diseases. Hospitals are
                                                      Regulatory Impact Analysis here, we                                         state that the use of restraint or                                            also currently required to have a
                                                      estimate hourly costs as follows. Using                                     seclusion must be in accordance with                                          designated infection control officer, or
                                                      data from the Bureau of Labor Statistics,                                   the order of a physician or other                                             officers, who are required to develop a
                                                      we have estimates of the national                                           licensed practitioner who is responsible                                      system to identify, report, investigate
                                                      average hourly wage for all medical                                         for the care of the patient and                                               and control infections and
                                                      professions (for an explanation of these                                    authorized to order restraint or                                              communicable diseases of patients and
                                                      data see http://www.bls.gov/                                                seclusion by hospital policy in                                               personnel. The hospital’s CEO, medical
                                                      news.release/archives/ocwage_                                               accordance with State law. We are                                             staff, and director of nursing services are
                                                      03252015.htm). These data do not                                            proposing that § 482.13(e)(8)(ii) would                                       charged with ensuring that the problems
                                                      include the employer share of fringe                                        now state that after 24 hours, before                                         identified by the infection control
                                                      benefits such as health insurance and                                       writing a new order for the use of                                            officer or officers are addressed in
                                                      retirement plans, the employer share of                                     restraint or seclusion for the                                                hospital training programs and their
                                                      OASDI taxes, or the overhead costs to                                       management of violent or self-                                                QAPI program. The CEO, medical staff,
                                                      employers for rent, utilities, electronic                                   destructive behavior, a physician or                                          and director of nursing services are also
                                                      equipment, furniture, human resources                                       other licensed practitioner who is                                            responsible for the implementation of
                                                      staff, and other expenses that are                                          responsible for the care of the patient                                       successful corrective action plans in
                                                      incurred for employment. The HHS-                                           and authorized to order restraint or                                          affected problem areas.
                                                      wide practice is to account for all such                                    seclusion by hospital policy in                                                  We are proposing a change to the title
                                                      costs by adding 100 percent to the                                          accordance with State law must see and                                        of this CoP to ‘‘Infection prevention and
                                                      hourly cost rate, doubling it for                                           assess the patient. While we believe that                                     control and antibiotic stewardship
                                                      purposes of estimating the costs of                                         hospitals might be able to achieve some                                       programs.’’ By adding the word
                                                      regulations. We use the following                                           costs savings through these changes (by                                       ‘‘prevention’’ to the CoP name, our
                                                      average hourly wages for registered                                         having additional licensed practitioners                                      intent is to promote larger, cultural
                                                      dietitians and nutrition professionals,                                     such as PAs allowed to write restraint                                        changes in hospitals such that
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                                                      registered nurses, advanced practice                                        and seclusion orders and thus relieve                                         prevention initiatives are recognized on
                                                      registered nurses, physician assistants,                                    some of the burden from physicians),                                          balance with their current, traditional
                                                      pharmacists, network data analysts,                                         we do not have a reliable means of                                            control efforts. And by adding
                                                      hospital CEO/administrators, CAH CEO/                                       quantifying these possible cost savings.                                      ‘‘antibiotic stewardship’’ to the title, we
                                                      administrators, clerical staff workers,                                     We seek comment as to whether the                                             would emphasize the important role
                                                      and physicians respectively: $56, $68,                                      assumption of cost savings is reasonable                                      that a hospital could play in improving
                                                      $95, $95, $113, $70, $174, $98, $30, and                                    and welcome any data that may help                                            patient care and safety and combatting
                                                      $187 (2014 BLS Wage Data by Area and                                        inform the costs and benefits of this                                         antimicrobial resistance through
                                                      Occupation, including both hourly                                           provision.                                                                    implementation of a robust stewardship


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                                                                              Federal Register / Vol. 81, No. 116 / Thursday, June 16, 2016 / Proposed Rules                                           39471

                                                      program that follows nationally                         percent of all hospitals (http://                      ($4,080 for each hospital × 4,900
                                                      recognized guidelines for appropriate                   www.jointcommission.org/facts_about_                   hospitals = $19,992,000 estimated cost).
                                                      antibiotic use. Along with these                        hospital_accreditation/)) would already
                                                                                                                                                                     Antibiotic Stewardship
                                                      changes, we propose to change the                       be in compliance, or near compliance,
                                                      introductory paragraph to require that a                with this requirement. The Joint                          Similarly at § 482.42(b), we believe
                                                      hospital’s infection prevention and                     Commission requires that a hospital                    that the proposed requirements for a
                                                      control and antibiotic stewardship                      identify the individual(s) responsible for             hospital to have an active antibiotic
                                                      programs be active and hospital-wide                    its infection prevention and control                   stewardship program, and for its
                                                      for the surveillance, prevention, and                   program, including the individual(s)                   organization and policies, would
                                                      control of HAIs and other infectious                    with clinical authority over the                       constitute additional regulatory burden,
                                                      diseases, and for the optimization of                   infection prevention and control                       as will be discussed in more detail
                                                      antibiotic use through stewardship. We                  program. For the 25 percent of hospitals               below. However, we believe that the
                                                      would also require that a program                       not accredited by TJC, we are                          estimated costs of an AS program would
                                                      demonstrate adherence to nationally                     calculating the burden for these                       be greatly offset by the savings that a
                                                      recognized infection prevention and                     hospitals to come into compliance with                 hospital would achieve through such a
                                                      control guidelines for reducing the                     this requirement.                                      program. The most obvious savings
                                                      transmission of infections, as well as                     Based on our experience with                        would be from decreased inappropriate
                                                      best practices for improving antibiotic                 hospitals, we believe that most ICPs                   antibiotic use leading to overall
                                                      use, for reducing the development and                                                                          decreased drug costs for a hospital. Our
                                                                                                              would be registered nurses with
                                                      transmission of HAIs and antibiotic-                                                                           review of the literature showed
                                                                                                              experience, education, and training in
                                                      resistant organisms. While these                                                                               significant savings in this area, with
                                                                                                              infection control. Twenty-five percent of
                                                      particular changes are new to the                                                                              annual savings proportional to bed size
                                                                                                              hospitals not accredited by TJC is 1,225
                                                      regulatory text, it is worth noting that                                                                       of the hospital or hospital unit.
                                                                                                              hospitals. Each hospital would be
                                                      these requirements, with the exception                                                                         Reported annual savings ranged from
                                                                                                              required to employ at least one ICP
                                                      of the new requirement for an antibiotic                                                                       $27,917 (Canadian dollars) for a 12-bed
                                                                                                              fulltime (52 weeks × 40 hours = 2,080
                                                      stewardship program, have been present                                                                         medical/surgical intensive care unit to
                                                                                                              hours) at $68 per hour. The cost per
                                                      in the Interpretive Guidelines (IGs) for                                                                       $2.1 million for an 880-bed academic
                                                                                                              hospital would be $141,440 annually
                                                      hospitals since 2008 (See A0747 at                                                                             medical center (Leung V, Gill S, Sauve
                                                                                                              (2,080 hours × $68 = $141,440). The                    J, Walker K, Stumpo C, Powis J.
                                                      Appendix A—Survey Protocol,                             total cost for all non-TJC-accredited
                                                      Regulations and Interpretive Guidelines                                                                        Growing a ‘‘positive culture’’ of
                                                                                                              hospitals would be approximately $173                  antimicrobial stewardship in a
                                                      for Hospitals, http://cms.gov/manuals/                  million annually (1,225 × $141,440 =
                                                      Downloads/som107ap_a_hospitals.pdf).                                                                           community hospital. The Canadian
                                                                                                              173,264,000).                                          journal of hospital pharmacy. 2011;
                                                      Infection Prevention and Control                           We believe that the other proposed                  64(5):314–20; Beardsley JR, Williamson
                                                         Specifically, at § 482.42(a)(1), we                  requirements in this section of the CoP                JC, Johnson JW, Luther VP, Wrenn RH,
                                                      propose to require the hospital to                      would constitute additional burden.                    Ohl CC. Show me the money: Long-term
                                                      appoint an infection preventionist(s)/                  Each hospital would be required to                     financial impact of an antimicrobial
                                                      infection control professional(s). Within               review their current infection control                 stewardship program. Infection control
                                                      this proposed change we are deleting                    program and compare it to the new                      and hospital epidemiology: The official
                                                      the outdated term, ‘‘infection control                  requirements contained in this section.                journal of the Society of Hospital
                                                      officer,’’ and replacing it with the more               After performing this comparison, each                 Epidemiologists of America. 2012;
                                                      current and accurate terms, ‘‘infection                 hospital would be required to revise                   33(4):398–400). We specifically note the
                                                      preventionist/infection control                         their program so that it complied with                 $177,000 in annual drug cost savings
                                                      professional.’’ CDC has defined                         the requirements in this section. Based                achieved by a 120-bed community
                                                      ‘‘infection control professional (ICP)’’ as             on our experience with hospitals, we                   hospital with its AS program and would
                                                      ‘‘a person whose primary training is in                 believe that a physician and a nurse on                use that as the average cost savings for
                                                      either nursing, medical technology,                     the infection control team would                       the average-sized 124-bed hospital
                                                      microbiology, or epidemiology and who                   conduct this review and revision of the                discussed above (LaRocco 2003, CID
                                                      has acquired specialized training in                    program. We believe both the physician                 ‘‘Concurrent antibiotic review programs-
                                                      infection control.’’ In designating                     and the nurse would spend 16 hours                     a role for infectious diseases specialists
                                                      infection preventionists/ICPs, hospitals                each for a total of 32 hours. Physicians               at small community hospitals’’). Using
                                                      should ensure that the individuals so                   earn an average of $187 an hour. Nurses                this assumption, we believe that the
                                                      designated are qualified through                        earn an average salary of $68 an hour.                 annual drug cost savings for 60 percent
                                                      education, training, experience, or                     Thus, to ensure their infection control                of all 4,900 hospitals under this
                                                      certification (such as that offered by the              program complied with the                              proposed rule would be $520,380,000 or
                                                      CBIC, or by the specialty boards in adult               requirements in this section, we                       approximately $520 million (2,940
                                                      or pediatric infectious diseases offered                estimate that each hospital would                      hospitals × $177,000 in drug cost
                                                      for physicians by the American Board of                 require 32 burden hours (16 hours for a                savings).
                                                      Internal Medicine (for internists) and                  physician and 16 hours for a nurse = 32                   In addition to these savings, we also
                                                      the American Board of Pediatrics (for                   burden hours) at a cost of $4,080 ($2,992              believe that the proposed requirement
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                                                      pediatricians). Since this requirement                  ($187 an hour for a physician × 16                     for an AS program would assist
                                                      has been present in the IGs since 2008,                 burden hours) + $1,088 ($68 an hour for                hospitals in significantly reducing rates
                                                      we believe that hospitals have been                     a nurse × 16 burden hours)). Based on                  of CDI and the attendant costs. Based on
                                                      aware of CMS’ expectations for the                      the estimate, for all 4,900 hospitals,                 an AS program model developed by the
                                                      qualifications of infection control                     complying with this requirement would                  CDC, a hospital combined IC/AS
                                                      officers. The Joint Commission has a                    require 156,800 burden hours (32 hours                 program with an average effectiveness
                                                      similar requirement (TJC Accreditation                  for each hospital × 4,900 hospitals =                  rate of 50 percent would reduce the
                                                      Standard IC.01.01.01) and so we believe                 156,800 burden hours) at a one-time                    number of CDIs among Medicare
                                                      that hospitals accredited by TJC (over 75               cost of approximately $20 million                      beneficiaries annually by 101,000


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                                                      39472                    Federal Register / Vol. 81, No. 116 / Thursday, June 16, 2016 / Proposed Rules

                                                      (Rachel B. Slayton, Ph.D., MPH; R.                        infections are known to be expensive to               = $7,000 for a network data analyst)).
                                                      Douglas Scott II, Ph.D.; James Baggs,                     insurers, including CMS. Preventing                   The total annual labor cost for 60
                                                      Ph.D.; Fernanda C. Lessa, MD; L.                          these infections will reduce CMS and                  percent of hospitals ($100,900 × 2,940)
                                                      Clifford McDonald, MD; John A.                            other insurer expenditures, both on                   would be approximately $297 million.
                                                      Jernigan, MD. ‘‘The Cost-Benefit of                       direct hospital costs and through                        As shown above, however, we
                                                      Federal Investment in Preventing                          reduced re-admissions. The cost-savings               estimate that the drug cost savings of
                                                      Clostridium difficile Infections through                  estimates for CDI included in the RIA                 implementing and maintaining IC/AS
                                                      the Use of a Multifaceted Infection                       provide an example of the savings                     programs would be $520.4 million. For
                                                      Control and Antimicrobial Stewardship                     Medicare and other insurers could                     hospitals to not have voluntarily
                                                      Program,’’ Infection Control & Hospital                   realize through reductions in just one                implemented such programs indicates
                                                      Epidemiology 2015;00(0):1–7). The costs                   HAI.3                                                 that their costs are at least as great as
                                                      examined in the model were costs for                         We anticipate that the drug savings                their savings; therefore, either labor
                                                      patients who developed CDIs while they                    accrue to the hospitals. The CDI savings              costs are underestimated at $297 million
                                                      were in the hospital or had to be re-                     are likely shared by hospitals and                    or there are non-labor costs involved in
                                                      admitted to the hospital for a case of                    insurers. Hospitals do bear some of                   the implementation and maintenance of
                                                      CDI that was a result of a recent                         these costs of CDI infections, especially             IC/AS programs. We therefore estimate
                                                      hospitalization, so the costs are much                    if the CDI case complicates a                         $520.4 million as a lower bound on the
                                                      higher than what would be associated                      hospitalization—for example if a patient              costs associated with this provision of
                                                      with outpatient cases. The 101,000-                       admitted for pneumonia gets CDI, under                the proposed rule. Moreover, as
                                                      reduction is an annual reduction in the                   bundled payment rules, the hospital                   discussed previously, non-drug cost
                                                      number of cases of CDI among patients                     would likely make less money from that                savings may also accrue to hospitals; if
                                                      who develop the infection because of                      admission. Also, CDI now also factors                 so, then lack of voluntary
                                                      medical care; that is, they were admitted                 into annual payment updates under the                 implementation indicates that costs
                                                      for something else and then acquired                      inpatient quality reporting program, so               associated with this provision would be
                                                      CDI while getting care. It should be                      hospitals with high CDI rates could face              at least $1.0 billion. We invite public
                                                      noted that the 101,000 number actually                    payment reductions.                                   comment regarding the amount by
                                                      comprises two types of CDI—cases that                        We believe that the burden of                      which costs exceed savings in cases of
                                                      occur while the patient is in the hospital                implementing and maintaining an AS                    non-voluntary IC/AS program adoption.
                                                      and cases that are directly attributable to               program includes the salaries of the
                                                                                                                                                                      Ordering Privileges for Qualified
                                                      a recent hospitalization, but which                       qualified personnel needed to establish
                                                                                                                                                                      Dietitians (RDs) and Qualified Nutrition
                                                      manifest after the patient is discharged                  and manage such a hospital program.
                                                                                                                                                                      Professionals (Provision of Services
                                                      and requires a readmission. The cost for                  Our review of the literature,
                                                                                                                                                                      § 485.635)
                                                      patients who develop the infection                        consultations with CDC, and experience
                                                      while they are already in the hospital is                 with hospitals suggests that the                        We propose to revise the CAH
                                                      between $4,323 and $8,146. However,                       establishment and maintenance of a                    requirements at 42 CFR
                                                      the infections related to a recent                        hospital antibiotic stewardship program               485.635(a)(3)(vii), which currently
                                                      hospital stay that require readmission                    as proposed here, for an average-size                 requires that the nutritional needs of
                                                      are more expensive, on average, because                   hospital (approximately 124 beds),                    inpatients are met in accordance with
                                                      they require an entirely new admission.                   would require the services of a                       recognized dietary practices and the
                                                      The cost of those cases is between                        physician (preferably one with training               orders of the practitioner responsible for
                                                      $7,061 and $11,601. Slayton et al.                        in infectious diseases) and a clinical                the care of the patients. Specifically, we
                                                      estimate $2.5 billion in federal savings                  pharmacist, and also a network data                   are proposing revisions that would
                                                      over five years, or an annual average of                  analyst, at the following proportions of              change the CMS requirements to allow
                                                      $0.5 billion.2 We believe that the                        full-time employee salaries respectively:             for flexibility in this area by requiring
                                                      combined annual savings that hospitals                    0.10, 0.25, and 0.05. We believe that                 that all patient diets, including
                                                      could achieve with the proposed AS                        these personnel costs would constitute                therapeutic diets, must be ordered by a
                                                      program and the proposed revisions to                     the real burden for these proposed                    practitioner responsible for the care of
                                                      infection control would be                                requirements. To determine the cost of                the patient, or by a qualified dietitian or
                                                      $1,020,000,000 or $1 billion.                             this burden, we added the proportion of               qualified nutrition professional as
                                                         We note that these savings would be                    full-time salaries required of a                      authorized by the medical staff in
                                                      both to hospitals as well as healthcare                   physician, a clinical pharmacist, and a               accordance with State law governing
                                                      insurers, including Medicare. However,                    network analyst. We also based our                    dietitians and nutrition professionals.
                                                      we are not able to distinguish the                                                                                With these proposed changes to the
                                                                                                                estimates on the assumption that 60
                                                      savings that would accrue to each group                                                                         current requirements, a CAH would
                                                                                                                percent of hospitals do not yet have
                                                      in this analysis. Healthcare-associated                                                                         have the regulatory flexibility to grant
                                                                                                                programs that implement all of the CDC
                                                                                                                                                                      qualified dietitians/nutrition
                                                                                                                core elements (based on data from the
                                                        2 Slayton et al. appear not to account for the                                                                professionals specific dietary ordering
                                                                                                                2015 NHSN survey). Based on these
                                                      increased Medicare costs that would result from IC/                                                             privileges (including the capacity to
                                                      AS program-associated reductions in CDI-related           assumptions, the total annual cost for a
                                                                                                                                                                      order specific laboratory tests to monitor
                                                      deaths. Although such an accounting would be              hospital to establish and maintain an
                                                                                                                                                                      nutritional interventions and then
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                                                      appropriate to include in this regulatory impact          antibiotic stewardship program would
                                                                                                                                                                      modify those interventions as needed).
                                                      analysis, its negative effect on estimated net
                                                                                                                be $100,900 (($187 × 0.10 × 2,000 hours
                                                      benefits would almost certainly be more than offset                                                             We believe that this is another area of
                                                      by the inclusion of a willingness-to-pay estimate of      per year = $37,400 for a physician) +
                                                                                                                                                                      change to the requirements that might
                                                      the value of life extension. Willingness-to-pay           ($113 × 0.25 × 2,000 hours per year =
                                                      approaches can also be used to monetize the                                                                     produce savings since our proposal
                                                                                                                $56,500 for a clinical pharmacist) + ($70
                                                      decrease in pain and suffering associated with                                                                  would allow physicians to delegate to a
                                                      reductions in non-fatal morbidity, so we request
                                                                                                                per hour × 0.05 × 2,000 hour per year
                                                                                                                                                                      qualified dietitian or qualified nutrition
                                                      data that would allow for more thorough estimation
                                                      of all of these effects (i.e., the societal benefits of     3 We invite data that would allow for               professional the task of prescribing
                                                      reduced non-fatal CDI illness and the societal            quantification of the rule’s impacts on HAIs other    patient diets, including therapeutic
                                                      benefits and costs of reduced fatal CDI illness).         than CDI.                                             diets, to the extent allowed by state law.


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                                                                              Federal Register / Vol. 81, No. 116 / Thursday, June 16, 2016 / Proposed Rules                                                     39473

                                                      We further believe that dietitians or                   report (http://oig.hhs.gov/oei/reports/                  activity entails a substantial movement
                                                      other clinically qualified nutrition                    oei-05-12-00081.pdf)) with each of these                 along the supply curve for dietitian
                                                      professionals are already performing                    stays requiring at least one dietary plan                labor, thus raising the dietitian wage
                                                      patient dietary assessments and making                  and orders;                                              and reducing the cost savings estimated
                                                      dietary recommendations to the                             • On average, each dietary order,                     with the method outlined. For these
                                                      physician (or PA or APRN) who then                      including ordering and monitoring of                     reasons, as well as our lack of data on
                                                      evaluates the recommendations and                       laboratory tests, subsequent                             CAH outpatient visits for nutritional
                                                      writes orders to implement them. Our                    modifications to orders, and dietary                     services and the impact that the
                                                      analysis does not take into account                     orders for discharge/transfer/outpatient                 proposed regulatory changes might have
                                                      improved quality of life nor improved                   follow-up as needed, will take 30                        on hospital costs in this area, we present
                                                      clinical outcomes for the patient. We do                minutes (0.5 hours) of a physician’s/                    the $10 million estimate for discussion
                                                      not currently have data to more                         APRN’s/PA’s/dietitian’s/nutrition                        purposes only and do not include it in
                                                      precisely estimate the savings that this                professional’s time per patient during an                the summary estimates of costs and cost
                                                      proposed revision could produce in                      average stay; and                                        savings attributable to the proposed
                                                      CAHs. We welcome commenters to                             • We estimate that approximately 50                   rule.
                                                      provide data that might assist in a more                percent of CAHs (or approximately 650                    § 485.640 Condition of participation:
                                                      precise estimate. However, we believe                   CAHs) have not already granted                           Infection prevention and control and
                                                      that it might allow for better use of both              ordering privileges to dietitians and                    antibiotic stewardship programs
                                                      physician/PA/APRN and dietitian/                        nutrition professionals, reducing the                      As we proposed for hospitals, we are
                                                      nutrition professional time and could                   number of total number of CAH                            also proposing new infection prevention
                                                      result in improved quality of life and                  inpatient stays to 141,292.                              and control and antibiotic stewardship
                                                      improved clinical outcomes for CAH                         The resulting savings would be $7,608                 requirements for CAHs. The infection
                                                      patients.                                               annually on average for each CAH
                                                         More obviously, dietitians/nutrition                                                                          control requirements for CAHs have
                                                                                                              (141,292 inpatient hospital stays × 0.50                 remained unchanged since 1997. We are
                                                      professionals with ordering privileges                  hours of a physician’s/APRN’s/PA’s/
                                                      would be able to provide dietary/                                                                                adding a new infection prevention and
                                                                                                              dietitian’s/nutrition professional’s time                control (as well as antibiotic
                                                      nutritional services at lower costs than                × $70 per hourly cost difference ÷ 650
                                                      physicians (as well as APRNs and PAs,                                                                            stewardship) CoP for CAHs because the
                                                                                                              CAHs) for a total annual savings of                      existing standards for infection control
                                                      two categories of non-physician                         approximately $5 million. We note that
                                                      practitioners that have traditionally also                                                                       do not reflect the current nationally
                                                                                                              these estimates exclude some categories                  recognized practices for the prevention
                                                      devised and written patient dietary                     of cost increases (for example, internal
                                                      plans and orders). This cost savings                                                                             and elimination of healthcare-associated
                                                                                                              CAH meetings to plan changes and the                     infections.
                                                      stems in some part from significant                     time and other costs of training
                                                      differences in the average salaries                     physicians, dietitians/nutrition                         Infection Prevention and Control
                                                      between the professions and the time                    professionals, and other staff on the new                  Each CAH would be required to
                                                      savings achieved by allowing dietitians/                dietary ordering procedures). Even more                  review their current infection control
                                                      nutrition professionals to autonomously                 importantly, this estimate does not                      program and compare it to the new
                                                      plan, order, monitor, and modify                        account for barriers, other than federal                 requirements contained in this section.
                                                      services as needed and in a more                        regulation, to RDs receiving ordering                    After performing this comparison, each
                                                      complete and timely manner than they                                                                             CAH would be required to revise their
                                                                                                              privileges; Weil et al. (2008) provide
                                                      are currently allowed. Savings would be                                                                          program so that it complied with the
                                                                                                              evidence on the existence of such
                                                      realized by CAHs through the                                                                                     requirements in this section. Based on
                                                                                                              barriers, which would likely prevent at
                                                      physician/APRN/PA time and salaries                                                                              our experience with CAHs, we believe
                                                                                                              least some of these cost savings from
                                                      saved.                                                                                                           that a physician and a nurse on the
                                                         Physicians, APRNs, and PAs often                     being realized.4 If such barriers are not
                                                                                                              relevant, then there is another                          infection control team would conduct
                                                      lack the training and educational
                                                                                                              adjustment that would need to be made                    this review and revision of the program.
                                                      background to manage the nutritional
                                                                                                              to the calculation. Specifically, the                    We believe both the physician and the
                                                      needs of patients with the same                                                                                  nurse would spend 16 hours each for a
                                                      efficiency and skill as dietitians/                     dietitian wage estimate would need to
                                                                                                              be revised because the May 2014 wage                     total of 32 hours. Physicians earn an
                                                      nutrition professionals. The addition of                                                                         average of $187 an hour. Nurses earn an
                                                      ordering privileges enhances the ability                data do not account for the increase in
                                                                                                              demand for dietitians we projected                       average salary of $68 an hour. Thus, to
                                                      that dietitians/nutrition professionals                                                                          ensure their infection control program
                                                      already have to provide timely, cost-                   would result from the hospital burden
                                                                                                              reduction rule finalized that same                       complied with the requirements in this
                                                      effective, and evidence-based nutrition                                                                          section, we estimate that each CAH
                                                      services as the recognized nutrition                    month. For the savings estimates
                                                                                                              accompanying that rule to be achieved                    would require 32 burden hours (16
                                                      experts on a CAH interdisciplinary                                                                               hours for a physician and 16 hours for
                                                      team.                                                   would require at least 6.7 percent of the
                                                                                                              dietitian FTEs in the U.S. to be newly                   a nurse = 32 burden hours) at a cost of
                                                         It might seem natural to calculate
                                                                                                              allocated to providing nutrition services                $4,080 ($2,992 ($187 an hour for a
                                                      these cost savings for CAHs based on
                                                                                                              to hospital patients.5 This shift in                     physician × 16 burden hours = $2,292)
                                                      the following assumptions:
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                                                         • There is an average hourly cost                                                                             + $1,088($68 an hour for a nurse × 16
                                                                                                                4 Weil, Sharon D., et al. ‘‘Registered Dietitian
                                                      difference of $70 between dietitians/                   Prescriptive Practices in Hospitals.’’ Journal of the    rule, we estimated $459 million of loaded wage
                                                      nutrition professionals on one side ($56                American Dietetic Association 108:1688–1692.             savings associated with dietary ordering switching
                                                      per hour) and the hourly cost average                   October 2008.                                            from physicians, nurse practitioners and physician
                                                      for physicians, APRNs, and PAs ($126                      5 BLS data show employment of 59,490 dietitians,       assistants to lower-paid dietitians. Thus the
                                                      per hour) on the other;                                 with a mean hourly wage of $27.62. Assuming all          relevant portion of the savings estimate equals
                                                                                                              dietitians are employed full-time (2,080 hours           roughly 6.7 percent (= $459 million ÷ $6.8 billion)
                                                         • There were 282,584 inpatient visits                annually) yields a total sector value of $3.4 billion,   of the sector as a whole—and would exceed 6.7
                                                      by Medicare beneficiaries in 2011                       or $6.8 billion when doubled to account for fringe       percent, to the extent that some current dietitian
                                                      (According to a December 2013 OIG                       benefits and overhead. For the May, 2014, final          positions are part-time.



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                                                      39474                   Federal Register / Vol. 81, No. 116 / Thursday, June 16, 2016 / Proposed Rules

                                                      burden hours = $1,088) = $4,080                         (× 1,009) would be approximately $45                   small entities in analyzing the effects of
                                                      estimated cost). Based on the estimate,                 million.                                               our rules.
                                                      for all 1,300 CAHs, complying with this                   However, we believe that the                            This proposed rule would cost
                                                      requirement would require 41,600                        estimated costs of an AS program would                 affected entities approximately $0.6 to
                                                      burden hours (32 hours for each CAH ×                   be somewhat offset by the savings that                 1.1 billion a year, largely, but not
                                                      1,300 CAHs = 41,600 burden hours) at                    a CAH would achieve through such a                     entirely, offset by savings. While this is
                                                      a one-time cost of approximately $5                     program. The most obvious savings                      a large amount in total, the average cost
                                                      million ($4,080 for each CAH × 1,300                    would be from decreased inappropriate                  per affected hospital is less than one
                                                      CAHs = $5,304,000 estimated cost).                      antibiotic use leading to overall                      half million dollars per year. Although
                                                      Antibiotic Stewardship                                  decreased drug costs for a CAH. Our                    the overall magnitude of the paperwork,
                                                                                                              review of the literature showed                        staffing, and related cost reductions to
                                                         Similarly, we believe that the                       significant savings in this area, with                 hospitals and CAHs under this rule is
                                                      proposed requirements for a CAH to                      annual savings proportional to bed size                economically significant, these savings
                                                      have an active antibiotic stewardship                   of the hospital. Reported annual savings               are likely to be a fraction of one percent
                                                      program, and for its organization and                   ranged from $27,917 for a 12-bed                       of total hospital costs. Total national
                                                      policies, would constitute additional                   medical/surgical intensive care unit to                inpatient hospital spending is
                                                      regulatory burden. However, we believe                  $2.1 million for an 880-bed academic                   approximately nine hundred billion
                                                      that the burden of implementing and                     medical center. We specifically note the               dollars a year, or an average of about
                                                      maintaining an AS program includes the                  $177,000 in annual drug cost savings                   $150 million per hospital, and our
                                                      salaries of the qualified personnel                                                                            primary estimate of the net (though
                                                                                                              achieved by a 120-bed community
                                                      needed to establish and manage such a                                                                          possibly not the gross) effect of these
                                                                                                              hospital with its AS program (LaRocco
                                                      CAH program. Our review of the                                                                                 proposals on increasing hospital costs is
                                                                                                              2003, CID ‘‘Concurrent antibiotic review
                                                      literature, consultations with CDC, and                                                                        less than $1 billion annually.
                                                                                                              programs-a role for infectious diseases
                                                      experience with CAHs suggests that the
                                                                                                              specialists at small community CAHs’’)                    Under HHS guidelines for RFA,
                                                      establishment and maintenance of a
                                                                                                              and would use that as the basis to                     actions that do not negatively affect
                                                      CAH antibiotic stewardship program as
                                                                                                              calculate average annual cost savings for              costs or revenues by more than 3
                                                      proposed here, for a statutorily
                                                                                                              a 25-bed CAH ($177,000 annual savings                  percent a year are not economically
                                                      mandated 25-bed CAH, would require
                                                                                                              ÷ 120 beds = $1,475 annual cost savings                significant. We believe that no hospitals
                                                      the services of a physician (preferably
                                                      an infectious disease physician or                      per bed) at $36,875 per CAH ($1,475                    of any size will be negatively affected to
                                                      physician with training in antibiotic                   annual cost savings × 25 beds). Using                  this degree. Accordingly, we have
                                                      stewardship) and a clinical pharmacist                  this assumption, we believe that the                   determined that this proposed rule
                                                      (preferably with training in infectious                 annual drug cost savings for 1,009 CAHs                would not have a significant economic
                                                      diseases or antibiotic stewardship), and                under this proposed rule would be                      impact on a substantial number of small
                                                      also a network data analyst at the                      approximately $37 million (1,009 CAHs                  entities, and certify that an Initial RFA
                                                      following proportions of full-time                      × $36,875 in drug cost savings).                       is not required. Notwithstanding this
                                                      employee salaries respectively: 0.05,                     In addition to these savings, we also                conclusion, we believe that this RIA and
                                                      0.10, and 0.025. We believe that these                  believe that the proposed requirement                  the preamble as a whole meet the
                                                      personnel costs would constitute a real                 for an AS program would assist CAHs                    requirements of the RFA for such an
                                                      burden for these proposed requirements.                 in significantly reducing rates of CDI                 analysis.
                                                      To determine the cost of this burden, we                and the attendant costs. Based on an AS                   In addition, section 1102(b) of the Act
                                                      have added the proportion of full-time                  program model developed by the CDC,                    requires us to prepare a regulatory
                                                      salaries required of a physician, a                     a CAH combined IC/AS program with                      impact analysis if a rule may have a
                                                      clinical pharmacist, and a network                      an average effectiveness rate of 50                    significant impact on the operations of
                                                      analyst. Based on these assumptions,                    percent would reduce the number of                     a substantial number of small rural
                                                      the total annual cost for a CAH to                      CDIs among Medicare beneficiaries                      hospitals. This analysis must conform to
                                                      establish and maintain an antibiotic                    annually by 101,000. However, we do                    the provisions of section 603 of the
                                                      stewardship program would be $44,800                    not have a reliable means to distinguish               RFA. For purposes of section 1102(b) of
                                                      (($187 per hour × 0.05 × 2,000 hours per                this cost savings for CAHs from the cost               the Act, we define a small rural hospital
                                                      year = $18,700 for a physician) + ($113                 savings for hospitals that we have                     as a hospital that is located outside of
                                                      per hour × 0.10 × 2,000 hours per year                  already calculated.                                    a metropolitan statistical area and has
                                                      = $22,600 for a clinical pharmacist) +                                                                         fewer than 100 beds. For the preceding
                                                                                                              2. Effects on Small Entities
                                                      ($70 per hour × 0.025 × 2,000 hours per                                                                        reasons, we have determined that this
                                                      year = $3,500 for a network data                           The RFA requires agencies to analyze                proposed rule will lead to net savings
                                                      analyst)). According to CDC, 97 of 397                  options for regulatory relief of small                 and will therefore not have a significant
                                                      (or approximately 24 percent) of                        entities, if a rule has a significant impact           negative impact on the operations of a
                                                      hospitals with fewer than 25 beds                       on a substantial number of small                       substantial number of small rural
                                                      reported having an AS program that                      entities. For purposes of the RFA, we                  hospitals.
                                                      meets all of the CDC’s core elements.                   estimate that the great majority of the                   Section 202 of the Unfunded
                                                      However, we have no way of determing                    providers that would be affected by                    Mandates Reform Act of 1995 (UMRA)
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                                                      from the data how many of these less-                   CMS rules are small entities as that term              also requires that agencies assess
                                                      than-25-bed hospitals are actually                      is used in the RFA. The great majority                 anticipated costs and benefits before
                                                      CAHs. For the purposes of this burden                   of hospitals and most other healthcare                 issuing any rule whose mandates
                                                      estimate, we assume that 24 percent of                  providers and suppliers are small                      require spending in any 1 year of $100
                                                      the total 1,328 CAHs (or approximately                  entities, either by being nonprofit                    million in 1995 dollars, updated
                                                      319 CAHs) have already implemented                      organizations or by meeting the SBA                    annually for inflation. In 2016, that is
                                                      an AS program. Therefore, 1,009 CAHs                    definition of a small business.                        approximately $144 million. This
                                                      have not implemented an AS program.                     Accordingly, the usual practice of HHS                 proposed rule does not contain any
                                                      The total annual cost for these CAHs                    is to treat all providers and suppliers as             mandates.


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                                                                                      Federal Register / Vol. 81, No. 116 / Thursday, June 16, 2016 / Proposed Rules                                                                  39475

                                                        Executive Order 13132 establishes                                      revisions. This subset of the universe of                       reasons, we decided to propose the
                                                      certain requirements that an agency                                      standards is the focus of this proposed                         requirement as it is contained in this
                                                      must meet when it issues a proposed                                      rule.                                                           rule.
                                                      rule (and subsequent final rule) that                                      One alternative we did consider was                             For all of the proposed provisions, we
                                                      would impose substantial direct                                          combining the infection prevention and                          considered not making these changes.
                                                      requirement costs on State and local                                     control leader position with that of the                        Ultimately, based on our analysis of
                                                      governments, preempts State law, or                                      antibiotic stewardship leader position.                         these issues and for the reasons stated
                                                      otherwise has Federalism implications.                                   While this would certainly reduce the                           in this preamble, we believe that it is
                                                      This rule would not have a substantial                                   costs for hospitals by eliminating one of                       best to propose changes at this time. We
                                                      direct effect on State or local                                          these positions, we also believe that it                        welcome comments on whether we
                                                      governments, preempt States, or                                          might reduce the overall effectiveness of                       properly selected the best candidates for
                                                      otherwise have a Federalism                                              the program and, thus, the overall                              change, and welcome suggestions for
                                                      implication.                                                             societal benefits that might be achieved.                       additional reform candidates from the
                                                                                                                               The skills needed to lead each program                          entire body of CoPs.
                                                      D. Alternatives Considered
                                                                                                                               are different. Infection prevention
                                                                                                                                                                                               E. Accounting Statement and Table
                                                        As we stated, CMS is aware, through                                    programs are often led by nursing staff
                                                      conversations with stakeholders and                                      who do not prescribe antibiotics.                                 As required by OMB Circular A–4
                                                      federal partners, and as a result of                                     Antibiotic stewardship programs are led                         (available at http://
                                                      internal evaluation and research, of                                     by physicians and pharmacists who                               www.whitehouse.gov/omb/circulars/
                                                      outstanding concerns about the CoPs for                                  have direct knowledge and experience                            a004/a-4.pdf), we have prepared an
                                                      hospitals and CAHs, despite recent                                       with antibiotic prescribing. For these                          accounting statement.

                                                                                 TABLE 2—ACCOUNTING STATEMENT: CLASSIFICATION OF ESTIMATED COSTS AND BENEFITS
                                                                                                                                                        [$ In millions]

                                                                                                                                                                                                                   Units
                                                                                                     Category                                                             Estimates                                                 Period
                                                                                                                                                                                              Year dollar       Discount rate      covered

                                                                                                                                                            Benefits

                                                      Annualized .................................................................................................                  1,057              2015                7%      2016–2020
                                                      Monetized ($million/year) ...........................................................................                         1,057              2015                3%      2016–2020

                                                                                                    Qualitative                                                        Potential Reductions in morbidity and mortality for hospital and CAH
                                                                                                                                                                                                     patients

                                                                                                                                                             Costs *

                                                      Annualized .................................................................................................          748 to 1,248               2015                7%      2016–2020
                                                      Monetized ($million/year) ...........................................................................                 748 to 1,248               2015                3%      2016–2020



                                                      F. Conclusion                                                            List of Subjects                                                ■ 2. Section 482.13 is amended by
                                                                                                                                                                                               revising paragraphs (d)(2), (e)(5),
                                                        The impact of this proposed rule lies                                  42 CFR Part 482                                                 (e)(8)(ii), (e)(10), (e)(11), (e)(12)(i),
                                                      primarily with the estimated costs                                                                                                       (e)(14), and (g)(4)(ii) and by adding
                                                                                                                                 Grant programs—health, Hospitals,
                                                      (approximately $773 million to $1.1                                                                                                      paragraph (i) to read as follows:
                                                                                                                               Medicaid, Medicare, Reporting and
                                                      billion) of revising the hospital and
                                                                                                                               recordkeeping requirements.                                     § 482.13 Condition of participation:
                                                      CAH infection control CoPs, including
                                                                                                                               42 CFR Part 485                                                 Patient’s rights.
                                                      the new requirements for antibiotic
                                                      stewardship programs. However, these                                                                                                     *     *     *     *     *
                                                      costs may be more than offset by the                                       Grant programs—health, Health                                   (d) * * *
                                                                                                                               facilities, Medicaid, Medicare,
                                                      savings, and the overall benefits to                                                                                                       (2) The patient has the right to access
                                                                                                                               Reporting and recordkeeping
                                                      patients, that would be achieved with                                                                                                    their medical records, upon an oral or
                                                                                                                               requirements.
                                                      these changes (net savings to society of                                                                                                 written request, in the form and format
                                                      up to $284 million). The analysis,                                         For the reasons set forth in the                              requested by the individual, if it is
                                                      together with the remainder of this                                      preamble, the Centers for Medicare &                            readily producible in such form and
                                                      preamble, provides a Regulatory Impact                                   Medicaid Services proposes to amend                             format (including in an electronic form
                                                      Analysis and an Initial Regulatory                                       42 CFR chapter IV as set forth below:                           or format when such medical records
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                                                      Flexibility Analysis.                                                                                                                    are maintained electronically); or, if not,
                                                                                                                               PART 482—CONDITIONS OF                                          in a readable hard copy form or such
                                                        In accordance with the provisions of                                   PARTICIPATION FOR HOSPITALS                                     other form and format as agreed to by
                                                      Executive Order 12866, this regulation
                                                                                                                                                                                               the facility and the individual,
                                                      was reviewed by the Office of                                            ■ 1. The authority citation for part 482                        including current medical records,
                                                      Management and Budget.                                                   continues to read as follows:                                   within a reasonable time frame. The
                                                                                                                                 Authority: Secs. 1102, 1871 and 1881 of                       hospital must not frustrate the
                                                                                                                               the Social Security Act (42 U.S.C. 1302,                        legitimate efforts of individuals to gain
                                                                                                                               1395hh, and 1395rr), unless otherwise noted.                    access to their own medical records and


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                                                      39476                   Federal Register / Vol. 81, No. 116 / Thursday, June 16, 2016 / Proposed Rules

                                                      must actively seek to meet these                        responsible for the care of the patient,               plan that reflects the patient’s goals and
                                                      requests as quickly as its record keeping               medical record number, and primary                     the nursing care to be provided to meet
                                                      system permits.                                         diagnosis(es).                                         the patient’s needs. The nursing care
                                                         (e) * * *                                            *      *    *      *     *                             plan may be part of an interdisciplinary
                                                         (5) The use of restraint or seclusion                   (i) Standard: Non-discrimination. A                 care plan.
                                                      must be in accordance with the order of                 hospital must meet the following                       *       *     *     *    *
                                                      a physician or other licensed                           requirements:                                             (6) All licensed nurses who provide
                                                      practitioner who is responsible for the                    (1) Not discriminate on the basis of                services in the hospital must adhere to
                                                      care of the patient and authorized to                   race, color, religion, national origin, sex            the policies and procedures of the
                                                      order restraint or seclusion by hospital                (including gender identity), sexual                    hospital. The director of nursing service
                                                      policy in accordance with State law.                    orientation, age, or disability.                       must provide for the adequate
                                                      *       *    *     *     *                                 (2) Establish and implement a written               supervision and evaluation of the
                                                         (8) * * *                                            policy prohibiting discrimination on the               clinical activities of all nursing
                                                         (ii) After 24 hours, before writing a                basis of race, color, religion, national               personnel which occur within the
                                                      new order for the use of restraint or                   origin, sex (including gender identity),               responsibility of the nursing service,
                                                      seclusion for the management of violent                 sexual orientation, age, or disability.                regardless of the mechanism through
                                                      or self-destructive behavior, a physician                  (3) Inform each patient (and/or                     which those personnel are providing
                                                      or other licensed practitioner who is                   support person, where appropriate), in a               services (that is, hospital employee,
                                                      responsible for the care of the patient                 language he or she can understand, of                  contract, lease, other agreement, or
                                                      and authorized to order restraint or                    his or her right to be free from                       volunteer).
                                                      seclusion by hospital policy in                         discrimination against them and how to                    (7) The hospital must have policies
                                                      accordance with State law must see and                  file a complaint if they encounter                     and procedures in place establishing
                                                      assess the patient.                                     discrimination when he or she is                       which outpatient departments, if any,
                                                      *       *    *     *     *                              informed of his or her other rights under              are not required under hospital policy to
                                                         (10) The condition of the patient who                this section.                                          have a registered nurse present. The
                                                      is restrained or secluded must be                       ■ 3. Section 482.21 is amended by                      policies and procedures must:
                                                      monitored by a physician, other                         revising paragraph (b)(1) to read as                      (i) Establish the criteria such
                                                      licensed practitioner, or trained staff                 follows:                                               outpatient departments must meet,
                                                      that have completed the training criteria               § 482.21 Condition of participation: Quality           taking into account the types of services
                                                      specified in paragraph (f) of this section              assessment and performance improvement                 delivered, the general level of acuity of
                                                      at an interval determined by hospital                   program.                                               patients served by the department, and
                                                      policy.                                                 *      *     *     *      *                            the established standards of practice for
                                                         (11) Physician and other licensed                      (b) * * *                                            the services delivered;
                                                      practitioner training requirements must                   (1) The program must incorporate                        (ii) Establish alternative staffing plans;
                                                      be specified in hospital policy. At a                   quality indicator data including patient                  (iii) Be approved by the medical staff;
                                                      minimum, physicians and other                           care data, and other relevant data such                   (iv) Be reviewed at least once every
                                                      licensed practitioners authorized to                    as data submitted to or received from                  three years.
                                                      order restraint or seclusion by hospital                Medicare quality reporting and quality                    (c) * * *
                                                      policy in accordance with State law                     performance programs, including but                       (1) Drugs and biologicals must be
                                                      must have a working knowledge of                        not limited to data related to hospital                prepared and administered in
                                                      hospital policy regarding the use of                    readmissions and hospital-acquired                     accordance with Federal and State laws,
                                                      restraint or seclusion.                                 conditions.                                            the orders of the practitioner or
                                                         (12) * * *                                                                                                  practitioners responsible for the
                                                                                                              *      *     *     *      *
                                                         (i) By a—                                            ■ 4. Section 482.23 is amended by
                                                                                                                                                                     patient’s care, and accepted standards of
                                                         (A) Physician or other licensed                      revising paragraphs (b) introductory                   practice.
                                                      practitioner.                                           text, (b)(4) and (6), (c)(1) introductory              *       *     *     *    *
                                                         (B) Registered nurse who has been                                                                              (3) With the exception of influenza
                                                                                                              text, and (c)(3), and by adding paragraph
                                                      trained in accordance with the                                                                                 and pneumococcal vaccines, which may
                                                                                                              (b)(7) to read as follows:
                                                      requirements specified in paragraph (f)                                                                        be administered per physician-approved
                                                      of this section.                                        § 482.23 Condition of participation:                   hospital policy after an assessment of
                                                      *       *    *     *     *                              Nursing services.                                      contraindications, orders for drugs and
                                                         (14) If the face-to-face evaluation                  *     *     *    *     *                               biologicals must be documented and
                                                      specified in paragraph (e)(12) of this                    (b) Standard: Staffing and delivery of               signed by a practitioner who is
                                                      section is conducted by a trained                       care. The nursing service must have                    authorized to write orders in accordance
                                                      registered nurse, the trained registered                adequate numbers of licensed registered                with State law and hospital policy, and
                                                      nurse must consult the attending                        nurses, licensed practical (vocational)                who is responsible for the care of the
                                                      physician or other licensed practitioner                nurses, and other personnel to provide                 patient.
                                                      who is responsible for the care of the                  nursing care to all patients as needed.                   (i) If verbal orders are used, they are
                                                      patient as soon as possible after the                   There must be supervisory and staff                    to be used infrequently.
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                                                      completion of the 1–hour face-to-face                   personnel for each department or                          (ii) When verbal orders are used, they
                                                      evaluation.                                             nursing unit to ensure, when needed,                   must only be accepted by persons who
                                                      *       *    *     *     *                              the immediate availability of a                        are authorized to do so by hospital
                                                         (g) * * *                                            registered nurse for the care of any                   policy and procedures consistent with
                                                         (4) * * *                                            patient.                                               Federal and State law.
                                                         (ii) Each entry must document the                    *     *     *    *     *                                  (iii) Orders for drugs and biologicals
                                                      patient’s name, date of birth, date of                    (4) The hospital must ensure that the                may be documented and signed by other
                                                      death, name of attending physician or                   nursing staff develops, and keeps                      practitioners only if such practitioners
                                                      other licensed practitioner who is                      current for each patient, a nursing care               are acting in accordance with State law,


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                                                                              Federal Register / Vol. 81, No. 116 / Thursday, June 16, 2016 / Proposed Rules                                           39477

                                                      including scope-of-practice laws,                       HIV or HCV infectious blood and blood                  addresses any infection control issues
                                                      hospital policies, and medical staff                    components. The hospital must make                     identified by public health authorities.
                                                      bylaws, rules, and regulations.                         reasonable attempts to give notification                  (4) The infection prevention and
                                                      *     *     *      *       *                            over a period of 12 weeks unless—                      control program reflects the scope and
                                                      ■ 5. Section 482.24 is amended by                          (i) The patient is located and notified;            complexity of the hospital services
                                                      revising paragraphs (c) introductory text               or                                                     provided.
                                                      and (c)(4)(ii), (iv), (vi), (vii), and (viii) to           (ii) The hospital is unable to locate                  (b) Standard: Antibiotic stewardship
                                                      read as follows:                                        the patient and documents in the                       program organization and policies. The
                                                                                                              patient’s medical record the extenuating               hospital must ensure all of the
                                                      § 482.24 Condition of participation:                    circumstances beyond the hospital’s                    following:
                                                      Medical record services.                                control that caused the notification                      (1) An individual, who is qualified
                                                      *       *    *     *    *                               timeframe to exceed 12 weeks.                          through education, training, or
                                                         (c) Standard: Content of record. The                                                                        experience in infectious diseases and/or
                                                                                                              *       *    *    *      *
                                                      medical record must contain                                                                                    antibiotic stewardship, is appointed by
                                                                                                              ■ 7. Section 482.42 is revised to read as
                                                      information to justify all admissions and                                                                      the governing body as the leader of the
                                                                                                              follows:
                                                      continued hospitalizations, support the                                                                        antibiotic stewardship program and that
                                                      diagnoses, describe the patient’s                       § 482.42 Condition of participation:                   the appointment is based on the
                                                      progress and responses to medications                   Infection prevention and control and                   recommendations of medical staff
                                                      and services, and document all                          antibiotic stewardship programs.                       leadership and pharmacy leadership.
                                                      inpatient stays and outpatient visits to                   The hospital must have active                          (2) An active hospital-wide antibiotic
                                                      reflect all services provided to the                    hospital-wide programs for the                         stewardship program must:
                                                      patient.                                                surveillance, prevention, and control of                  (i) Demonstrate coordination among
                                                      *       *    *     *    *                               HAIs and other infectious diseases, and                all components of the hospital
                                                         (4) * * *                                            for the optimization of antibiotic use                 responsible for antibiotic use and
                                                         (ii) All diagnoses specific to each                  through stewardship. The programs                      resistance, including, but not limited to,
                                                      inpatient stay and outpatient visit.                    must demonstrate adherence to                          the infection prevention and control
                                                                                                              nationally recognized infection                        program, the QAPI program, the medical
                                                      *       *    *     *    *                                                                                      staff, nursing services, and pharmacy
                                                         (iv) Documentation of complications,                 prevention and control guidelines, as
                                                                                                              well as best practices for improving                   services.
                                                      hospital-acquired conditions,                                                                                     (ii) Document the evidence-based use
                                                      healthcare-associated infections, and                   antibiotic use, where applicable, for
                                                                                                              reducing the development and                           of antibiotics in all departments and
                                                      adverse reactions to drugs and                                                                                 services of the hospital.
                                                      anesthesia.                                             transmission of HAIs and antibiotic-
                                                                                                              resistant organisms. Infection                            (iii) Demonstrate improvements,
                                                      *       *    *     *    *                                                                                      including sustained improvements, in
                                                                                                              prevention and control problems and
                                                         (vi) All practitioners’ progress notes                                                                      proper antibiotic use, such as through
                                                                                                              antibiotic use issues identified in the
                                                      and orders, nursing notes, reports of                                                                          reductions in CDI and antibiotic
                                                                                                              programs must be addressed in
                                                      treatment, interventions, responses to                                                                         resistance in all departments and
                                                                                                              collaboration with the hospital-wide
                                                      interventions, medication records,                                                                             services of the hospital.
                                                                                                              quality assessment and performance
                                                      radiology and laboratory reports, and                                                                             (3) The antibiotic stewardship
                                                                                                              improvement (QAPI) program.
                                                      vital signs and other information                                                                              program adheres to nationally
                                                      necessary to monitor the patient’s                         (a) Standard: Infection prevention and
                                                                                                                                                                     recognized guidelines, as well as best
                                                      condition and to reflect all services                   control program organization and
                                                                                                                                                                     practices, for improving antibiotic use.
                                                      provided to the patient.                                policies. The hospital must ensure all of                 (4) The antibiotic stewardship
                                                         (vii) Discharge and transfer                         the following:                                         program reflects the scope and
                                                      summaries with outcomes of all                             (1) An individual (or individuals),                 complexity of the hospital services
                                                      hospitalizations, disposition of cases,                 who are qualified through education,                   provided.
                                                      and provisions for follow-up care for all               training, experience, or certification in                 (c) Standard: Leadership
                                                      inpatient and outpatient visits to reflect              infection prevention and control, are                  responsibilities. (1) The governing body
                                                      the scope of all services received by the               appointed by the governing body as the                 must ensure all of the following:
                                                      patient.                                                infection preventionist(s)/infection                      (i) Systems are in place and
                                                         (viii) Final diagnoses with completion               control professional(s) responsible for                operational for the tracking of all
                                                      of medical records within 30 days                       the infection prevention and control                   infection surveillance, prevention, and
                                                      following all inpatient stays, and within               program and that the appointment is                    control, and antibiotic use activities, in
                                                      7 days following all outpatient visits.                 based on the recommendations of                        order to demonstrate the
                                                      ■ 6. Section 482.27 is amended by
                                                                                                              medical staff leadership and nursing                   implementation, success, and
                                                      revising paragraph (b)(7) and removing                  leadership.                                            sustainability of such activities.
                                                      paragraph (b)(11) to read as follows:                      (2) The hospital infection prevention                  (ii) All HAIs and other infectious
                                                                                                              and control program, as documented in                  diseases identified by the infection
                                                      § 482.27 Condition of participation:                    its policies and procedures, employs                   prevention and control program as well
                                                      Laboratory services.                                    methods for preventing and controlling                 as antibiotic use issues identified by the
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                                                      *     *      *    *     *                               the transmission of infections within the              antibiotic stewardship program are
                                                        (b) * * *                                             hospital and between the hospital and                  addressed in collaboration with hospital
                                                        (7) Timeframe for notification. For                   other institutions and settings.                       QAPI leadership.
                                                      notifications resulting from donors                        (3) The infection prevention and                       (2) The infection preventionist(s)/
                                                      tested on or after February 20, 2008 as                 control program includes surveillance,                 infection control professional(s) are
                                                      set forth at 21 CFR 610.46 and 610.47                   prevention, and control of HAIs,                       responsible for:
                                                      the notification effort begins when the                 including maintaining a clean and                         (i) The development and
                                                      blood collecting establishment notifies                 sanitary environment to avoid sources                  implementation of hospital-wide
                                                      the hospital that it received potentially               and transmission of infection, and                     infection surveillance, prevention, and


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                                                      39478                   Federal Register / Vol. 81, No. 116 / Thursday, June 16, 2016 / Proposed Rules

                                                      control policies and procedures that                      Authority: Secs. 1102 and 1871 of the                in accordance with recognized dietary
                                                      adhere to nationally recognized                         Social Security Act (42 U.S.C. 1302 and                practices. All patient diets, including
                                                      guidelines.                                             1395(hh)).                                             therapeutic diets, must be ordered by
                                                        (ii) All documentation, written or                    § 485.627    [Amended]                                 the practitioner responsible for the care
                                                      electronic, of the infection prevention                 ■ 10. Section 485.627 is amended by                    of the patients or by a qualified dietitian
                                                      and control program and its                             removing paragraph (b)(1) and                          or qualified nutrition professional as
                                                      surveillance, prevention, and control                   redesignating paragraphs (b)(2) and (3)                authorized by the medical staff in
                                                      activities.                                             as paragraphs (b)(1) and (2),                          accordance with State law governing
                                                        (iii) Communication and collaboration                                                                        dietitians and nutrition professionals
                                                                                                              respectively.
                                                      with the hospital’s QAPI program on                     ■ 11. Section 485.631 is amended by                    and that the requirement of § 483.25(i)
                                                      infection prevention and control issues.                adding paragraph (d) to read as follows:               of this chapter is met with respect to
                                                        (iv) Competency-based training and                                                                           inpatients receiving post CAH SNF care.
                                                      education of hospital personnel and                     § 485.631 Condition of participation:                  *      *    *      *     *
                                                      staff, including medical staff, and, as                 Staffing and staff responsibilities.
                                                                                                                                                                        (g) Standard: Non-discrimination. A
                                                      applicable, personnel providing                         *       *     *     *    *                             CAH must meet the following
                                                      contracted services in the hospital, on                    (d) Standard: Periodic review of                    requirements:
                                                      the practical applications of infection                 clinical privileges and performance. The                  (1) Not discriminate on the basis of
                                                      prevention and control guidelines,                      CAH requires that—                                     race, color, religion, national origin, sex
                                                      policies, and procedures.                                  (1) The quality and appropriateness of              (including gender identity), sexual
                                                        (v) The prevention and control of                     the diagnosis and treatment furnished                  orientation, age, or disability.
                                                      HAIs, including auditing of adherence                   by nurse practitioners, clinical nurse                    (2) Establish and implement a written
                                                      to infection prevention and control                     specialist, and physician assistants at                policy prohibiting discrimination on the
                                                      policies and procedures by hospital                     the CAH are evaluated by a member of                   basis of race, color, religion, national
                                                      personnel.                                              the CAH staff who is a doctor of                       origin, sex (including gender identity),
                                                        (vi) Communication and collaboration                  medicine or osteopathy or by another                   sexual orientation, age, or disability.
                                                      with the antibiotic stewardship                         doctor of medicine or osteopathy under                    (3) Inform each patient (and/or
                                                      program.                                                contract with the CAH.                                 support person, where appropriate), in a
                                                        (3) The leader of the antibiotic                         (2) The quality and appropriateness of              language he or she can understand, of
                                                      stewardship program is responsible for:                 the diagnosis and treatment furnished                  his or her right to be free from
                                                        (i) The development and                               by doctors of medicine or osteopathy at                discrimination against them and how to
                                                      implementation of a hospital-wide                       the CAH are evaluated by—                              file a complaint if they encounter
                                                      antibiotic stewardship program, based                      (i) One hospital that is a member of                discrimination.
                                                      on nationally recognized guidelines, to                 the network, when applicable;                          ■ 13. Add § 485.640 to read as follows:
                                                      monitor and improve the use of                             (ii) One Quality Improvement
                                                      antibiotics.                                            Organization (QIO) or equivalent entity;               § 485.640 Condition of participation:
                                                        (ii) All documentation, written or                       (iii) One other appropriate and                     Infection prevention and control and
                                                      electronic, of antibiotic stewardship                   qualified entity identified in the State               antibiotic stewardship programs.
                                                      program activities.                                     rural health care plan;                                   The CAH must have active facility-
                                                        (iii) Communication and collaboration                    (iv) In the case of distant-site                    wide programs, for the surveillance,
                                                      with medical staff, nursing, and                        physicians and practitioners providing                 prevention, and control of HAIs and
                                                      pharmacy leadership, as well as the                     telemedicine services to the CAH’s                     other infectious diseases and for the
                                                      hospital’s infection prevention and                     patient under an agreement between the                 optimization of antibiotic use through
                                                      control and QAPI programs, on                           CAH and a distant-site hospital, the                   stewardship. The programs must
                                                      antibiotic use issues.                                  distant-site hospital; or                              demonstrate adherence to nationally
                                                        (iv) Competency-based training and                       (v) In the case of distant-site                     recognized infection prevention and
                                                      education of hospital personnel and                     physicians and practitioners providing                 control guidelines, as well as best
                                                      staff, including medical staff, and, as                 telemedicine services to the CAH’s                     practices for improving antibiotic use,
                                                      applicable, personnel providing                         patients under a written agreement                     where applicable, for reducing the
                                                      contracted services in the hospital, on                 between the CAH and a distant-site                     development and transmission of HAIs
                                                      the practical applications of antibiotic                telemedicine entity, one of the entities               and antibiotic-resistant organisms.
                                                      stewardship guidelines, policies, and                   listed in paragraphs (d)(2)(i) through                 Infection prevention and control
                                                      procedures.                                             (iii) of this section.                                 problems and antibiotic use issues
                                                      ■ 8. Section 482.58 is amended by                          (3) The CAH staff consider the
                                                                                                                                                                     identified in the programs must be
                                                      revising paragraph (b)(6) to read as                    findings of the evaluation and make the
                                                                                                                                                                     addressed in coordination with the
                                                      follows:                                                necessary changes as specified in
                                                                                                                                                                     facility-wide quality assessment and
                                                                                                              paragraphs (b) through (d) of this
                                                                                                                                                                     performance improvement (QAPI)
                                                      § 482.58 Special requirements for hospital              section.
                                                      providers of long-term care services                    ■ 12. Section 485.635 is amended by
                                                                                                                                                                     program.
                                                      (‘‘swing-beds’’).                                                                                                 (a) Standard: Infection prevention and
                                                                                                              removing paragraph (a)(3)(vi),
                                                                                                                                                                     control program organization and
                                                      *     *    *     *  *                                   redesignating paragraph (a)(3)(vii) as
                                                                                                                                                                     policies. The CAH must ensure all of the
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                                                        (b) * * *                                             paragraph (a)(3)(vi), revising newly
                                                        (6) Discharge summary (§ 483.20(l)).                                                                         following:
                                                                                                              designated paragraph (a)(3)(vi), and                      (1) An individual (or individuals),
                                                      *     *    *     *  *                                   adding paragraph (g) to read as follows:               who are qualified through education,
                                                                                                              § 485.635 Condition of participation:                  training, experience, or certification in
                                                      PART 485—CONDITIONS OF
                                                                                                              Provision of services.                                 infection prevention and control, are
                                                      PARTICIPATION: SPECIALIZED
                                                                                                                (a) * * *                                            appointed by the governing body, or
                                                      PROVIDERS
                                                                                                                (3) * * *                                            responsible individual, as the infection
                                                      ■ 9. The authority citation for part 485                  (vi) Procedures that ensure that the                 preventionist(s)/infection control
                                                      continues to read as follows:                           nutritional needs of inpatients are met                professional(s) responsible for the


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                                                                              Federal Register / Vol. 81, No. 116 / Thursday, June 16, 2016 / Proposed Rules                                            39479

                                                      infection prevention and control                           (i) Systems are in place and                        practical applications of antibiotic
                                                      program and that the appointment is                     operational for the tracking of all                    stewardship guidelines, policies, and
                                                      based on the recommendations of                         infection surveillance, prevention and                 procedures.
                                                      medical staff leadership and nursing                    control, and antibiotic use activities, in             ■ 14. Section 485.641 is revised to read
                                                      leadership.                                             order to demonstrate the                               as follows:
                                                         (2) The infection prevention and                     implementation, success, and
                                                                                                                                                                     § 485.641 Condition of participation:
                                                      control program, as documented in its                   sustainability of such activities.                     Quality assessment and performance
                                                      policies and procedures, employs                           (ii) All HAIs and other infectious                  improvement program.
                                                      methods for preventing and controlling                  diseases identified by the infection
                                                                                                                                                                        The CAH must develop, implement,
                                                      the transmission of infections within the               prevention and control program as well
                                                                                                                                                                     and maintain an effective, ongoing,
                                                      CAH and between the CAH and other                       as antibiotic use issues identified by the
                                                                                                                                                                     CAH-wide, data-driven quality
                                                      healthcare settings.                                    antibiotic stewardship program are
                                                                                                                                                                     assessment and performance
                                                         (3) The infection prevention and                     addressed in collaboration with the
                                                                                                                                                                     improvement (QAPI) program. The CAH
                                                      control includes surveillance,                          CAH’s QAPI leadership.
                                                                                                                 (2) The infection prevention and                    must maintain and demonstrate
                                                      prevention, and control of HAIs,
                                                                                                              control professional(s) are responsible                evidence of the effectiveness of its QAPI
                                                      including maintaining a clean and
                                                                                                              for:                                                   program.
                                                      sanitary environment to avoid sources
                                                                                                                                                                        (a) Definitions. For the purposes of
                                                      and transmission of infection, and that                    (i) The development and
                                                                                                                                                                     this section:
                                                      the program also addresses any                          implementation of facility-wide
                                                                                                                                                                        Adverse event means an untoward,
                                                      infection control issues identified by                  infection surveillance, prevention, and
                                                                                                                                                                     undesirable, and usually unanticipated
                                                      public health authorities.                              control policies and procedures that
                                                                                                                                                                     event that causes death or serious injury
                                                         (4) The infection prevention and                     adhere to nationally recognized
                                                                                                                                                                     or the risk thereof.
                                                      control program reflects the scope and                  guidelines.                                               Error means the failure of a planned
                                                      complexity of the CAH services                             (ii) All documentation, written or                  action to be completed as intended or
                                                      provided.                                               electronic, of the infection prevention                the use of a wrong plan to achieve an
                                                         (b) Standard: Antibiotic stewardship                 and control program and its                            aim. Errors can include problems in
                                                      program organization and policies. The                  surveillance, prevention, and control                  practice, products, procedures, and
                                                      CAH must ensure that:                                   activities.                                            systems; and
                                                         (1) An individual, who is qualified                     (iii) Communication and collaboration                  Medical error means an error that
                                                      through education, training, or                         with the CAH’s QAPI program on                         occurs in the delivery of healthcare
                                                      experience in infectious diseases and/or                infection prevention and control issues.               services.
                                                      antibiotic stewardship, is appointed by                    (iv) Competency-based training and                     (b) Standard: QAPI program design
                                                      the governing body, or responsible                      education of CAH personnel and staff,                  and scope. The CAH’s QAPI program
                                                      individual, as the leader of the                        including medical staff, and, as                       must:
                                                      antibiotic stewardship program and that                 applicable, personnel providing                           (1) Be appropriate for the complexity
                                                      the appointment is based on the                         contracted services in the CAH, on the                 of the CAH’s organization and services
                                                      recommendations of medical staff                        practical applications of infection                    provided.
                                                      leadership and pharmacy leadership.                     prevention and control guidelines,                        (2) Be ongoing and comprehensive.
                                                         (2) An active facility-wide antibiotic               policies and procedures.                                  (3) Involve all departments of the
                                                      stewardship program must:                                  (v) The prevention and control of                   CAH and services (including those
                                                         (i) Demonstrate coordination among                   HAIs, including auditing of adherence                  services furnished under contract or
                                                      all components of the CAH responsible                   to infection prevention and control                    arrangement).
                                                      for antibiotic use and resistance,                      policies and procedures by CAH                            (4) Use objective measures to evaluate
                                                      including, but not limited to, the                      personnel.                                             its organizational processes, functions
                                                      infection prevention and control                           (vi) Communication and collaboration                and services.
                                                      program, the QAPI program, the medical                  with the antibiotic stewardship                           (5) Address outcome indicators
                                                      staff, nursing services, and pharmacy                   program.                                               related to improved health outcomes
                                                      services.                                                  (3) The leader of the antibiotic                    and the prevention and reduction of
                                                         (ii) Document the evidence-based use                 stewardship program is responsible for:                medical errors, adverse events, CAH-
                                                      of antibiotics in all departments and                      (i) The development and                             acquired conditions, and transitions of
                                                      services of the CAH.                                    implementation of a facility-wide                      care, including readmissions.
                                                         (iii) Demonstrate improvements,                      antibiotic stewardship program, based                     (c) Standard: Governance and
                                                      including sustained improvements, in                    on nationally recognized guidelines, to                leadership. The CAH’s governing body
                                                      proper antibiotic use, such as through                  monitor and improve the use of                         or responsible individual is ultimately
                                                      reductions in CDI and antibiotic                        antibiotics.                                           responsible for the CAH’s QAPI program
                                                      resistance in all departments and                          (ii) All documentation, written or                  and is responsible and accountable for
                                                      services of the CAH.                                    electronic, of antibiotic stewardship                  ensuring that the QAPI program meets
                                                         (3) The antibiotic stewardship                       program activities.                                    the requirements of paragraph (b) of this
                                                      program adheres to nationally                              (iii) Communication and collaboration               section and that:
                                                      recognized guidelines, as well as best                  with medical staff, nursing, and
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                                                                                                                                                                        (1) Clear expectations for safety are
                                                      practices, for improving antibiotic use.                pharmacy leadership, as well as the                    communicated, implemented, and
                                                         (4) The antibiotic stewardship                       CAH’s infection prevention and control                 followed throughout the CAH.
                                                      program reflects the scope and                          and QAPI programs, on antibiotic use                      (2) The QAPI efforts address priorities
                                                      complexity of the CAH services                          issues.                                                for improved quality of care and patient
                                                      provided.                                                  (iv) Competency-based training and                  safety.
                                                         (c) Standard: Leadership                             education of CAH personnel and staff,                     (3) All improvement actions are
                                                      responsibilities. (1) The governing body,               including medical staff, and, as                       evaluated and modified as needed.
                                                      or responsible individual, must ensure                  applicable, personnel providing                           (4) Adequate resources are allocated
                                                      all of the following:                                   contracted services in the CAHs, on the                for measuring, assessing, improving,


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                                                      39480                   Federal Register / Vol. 81, No. 116 / Thursday, June 16, 2016 / Proposed Rules

                                                      and sustaining the CAH’s performance                    scope of the distinct improvement                      CAH’s governing body or responsible
                                                      and reducing risk to patients.                          projects conducted must be proportional                individual.
                                                         (5) The determination of the number                  to the scope and complexity of the                     ■ 15. Section 485.645 is amended by
                                                      of distinct improvement projects is                     CAH’s services and operations.                         revising the introductory text to read as
                                                      made annually.                                            (2) The CAH maintains and                            follows:
                                                         (6) The CAH develops and                             demonstrates written or electronic
                                                      implements policies and procedures for                  evidence and documentation of its QAPI                 § 485.645 Special requirements for CAH
                                                      QAPI that address what actions the CAH                  projects.                                              providers of long-term care services
                                                      staff should take to prevent and report                   (f) Standard: Program data collection                (‘‘swing-beds’’).
                                                      unsafe patient care practices, medical                  and analysis. (1) The program must                       A CAH must meet the following
                                                      errors, and adverse events.                             incorporate quality indicator data
                                                         (d) Standard: Program activities. For                                                                       requirements in order to be granted an
                                                                                                              including patient care data, and other                 approval from CMS to provide post-
                                                      each of the areas listed in paragraph (b)               relevant data, such as data submitted to
                                                      and (c) of this section, the CAH must:                                                                         CAH SNF care, as specified in § 409.30
                                                                                                              or received from national quality                      of this chapter, and to be paid for SNF-
                                                         (1) Focus on measures related to
                                                                                                              reporting and quality performance                      level services, in accordance with
                                                      improved health outcomes that are
                                                                                                              programs including but not limited to                  paragraph (c) of this section.
                                                      shown to be predictive of desired
                                                                                                              data related to hospital readmissions                  *     *     *     *    *
                                                      patient outcomes.
                                                         (2) Use the measures to analyze and                  and hospital-acquired conditions.
                                                                                                                (2) The CAH must use the data                          Dated: January 28, 2016.
                                                      track its performance.                                                                                         Andrew M. Slavitt,
                                                         (3) Set priorities for performance                   collected to:
                                                                                                                (i) Monitor the effectiveness and                    Acting Administrator, Centers for Medicare
                                                      improvement, considering either high-                                                                          & Medicaid Services.
                                                      volume, high-risk services, or problem-                 safety of services provided and quality
                                                                                                              of care.                                                 Dated: May 11, 2016.
                                                      prone areas.
                                                         (e) Performance improvement                            (ii) Identify opportunities for                      Sylvia M. Burwell,
                                                      projects. As part of its QAPI program,                  improvement and changes that will lead                 Secretary, Department of Health and Human
                                                      the CAH must:                                           to improvement.                                        Services.
                                                         (1) Conduct performance                                (3) The frequency and detail of data                 [FR Doc. 2016–13925 Filed 6–13–16; 4:15 pm]
                                                      improvement projects. The number and                    collection must be approved by the                     BILLING CODE 4120–01–P
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Document Created: 2016-06-16 00:37:21
Document Modified: 2016-06-16 00:37:21
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionProposed Rules
ActionProposed rule.
DatesTo be assured consideration, comments must be received at one of
ContactCDR Scott Cooper, USPHS, (410) 786- 9465, Mary Collins, (410) 786-3189, Alpha-Banu Huq, (410) 786-8687, Lisa Parker, (410) 786-4665.
FR Citation81 FR 39447 
RIN Number0938-AS21
CFR Citation42 CFR 482
42 CFR 485
CFR AssociatedGrant Programs-Health; Hospitals; Medicaid; Medicare; Reporting and Recordkeeping Requirements and Health Facilities

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