82_FR_21065 82 FR 20980 - Medicare Program; Prospective Payment System and Consolidated Billing for Skilled Nursing Facilities: Revisions to Case-Mix Methodology

82 FR 20980 - Medicare Program; Prospective Payment System and Consolidated Billing for Skilled Nursing Facilities: Revisions to Case-Mix Methodology

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

Federal Register Volume 82, Issue 85 (May 4, 2017)

Page Range20980-21012
FR Document2017-08519

We are issuing this advance notice of proposed rulemaking (ANPRM) to solicit public comments on potential options we may consider for revising certain aspects of the existing skilled nursing facility (SNF) prospective payment system (PPS) payment methodology to improve its accuracy, based on the results of our SNF Payment Models Research (SNF PMR) project. In particular, we are seeking comments on the possibility of replacing the SNF PPS' existing case-mix classification model, the Resource Utilization Groups, Version 4 (RUG-IV), with a new model, the Resident Classification System, Version I (RCS-I). We also discuss options for how such a change could be implemented, as well as a number of other policy changes we may consider to complement implementation of RCS-I.

Federal Register, Volume 82 Issue 85 (Thursday, May 4, 2017)
[Federal Register Volume 82, Number 85 (Thursday, May 4, 2017)]
[Proposed Rules]
[Pages 20980-21012]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2017-08519]



[[Page 20979]]

Vol. 82

Thursday,

No. 85

May 4, 2017

Part II





Department of Health and Human Services





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Centers for Medicare & Medicaid Services





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42 CFR Parts 409 and 488





Medicare Program; Prospective Payment System and Consolidated Billing 
for Skilled Nursing Facilities: Revisions to Case-Mix Methodology; 
Proposed Rule

Federal Register / Vol. 82 , No. 85 / Thursday, May 4, 2017 / 
Proposed Rules

[[Page 20980]]


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DEPARTMENT OF HEALTH AND HUMAN SERVICES

Centers for Medicare & Medicaid Services

42 CFR Parts 409 and 488

[CMS-1686-ANPRM]
RIN 0938-AT17


Medicare Program; Prospective Payment System and Consolidated 
Billing for Skilled Nursing Facilities: Revisions to Case-Mix 
Methodology

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

ACTION: Advance notice of proposed rulemaking with comment.

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SUMMARY: We are issuing this advance notice of proposed rulemaking 
(ANPRM) to solicit public comments on potential options we may consider 
for revising certain aspects of the existing skilled nursing facility 
(SNF) prospective payment system (PPS) payment methodology to improve 
its accuracy, based on the results of our SNF Payment Models Research 
(SNF PMR) project. In particular, we are seeking comments on the 
possibility of replacing the SNF PPS' existing case-mix classification 
model, the Resource Utilization Groups, Version 4 (RUG-IV), with a new 
model, the Resident Classification System, Version I (RCS-I). We also 
discuss options for how such a change could be implemented, as well as 
a number of other policy changes we may consider to complement 
implementation of RCS-I.

DATES: To be assured consideration, comments must be received at one of 
the addresses provided below, no later than 5 p.m. on June 26, 2017.

ADDRESSES: In commenting, please refer to file code CMS-1686-ANPRM. 
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. Within the search bar, enter 
the Regulation Identifier Number associated with this regulation, 0938-
AT17, and then click on the ``Comment Now'' box.
    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-1686-ANPRM, P.O. Box 8016, 
Baltimore, MD 21244-8016.
    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-1686-ANPRM, 
Mail Stop C4-26-05, 7500 Security Boulevard, Baltimore, MD 21244-1850.
    4. By hand or courier. If you prefer, you may deliver (by hand or 
courier) your written comments before the close of the comment period 
to either of the following addresses:
    a. 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. 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, 
please call telephone number (410) 786-7195 in advance to schedule your 
arrival with one of our staff members.
    Comments 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: John Kane, (410) 786-0557.

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.
    To assist readers in referencing sections contained in this 
document, we are providing the following Table of Contents.

Table of Contents

I. Executive Summary
    A. Purpose
    B. Summary of Major Provisions
II. Background
    A. Issues Relating to the Current Case Mix System for Payment of 
Skilled Nursing Facility Services Under Part A of the Medicare 
Program
    B. Summary of the Skilled Nursing Facility Payment Models 
Research Project
III. Potential Revisions to SNF PPS Payment Methodology
    A. Revisions to SNF PPS Base Federal Payment Rate Components
    1. Background on SNF PPS Federal Base Payment Rates and 
Components
    2. Data Sources Utilized for Revision of Federal Base Payment 
Rate Components
    3. Methodology Used for the Calculation of Revised Federal Base 
Payment Rate Components
    4. Updates and Wage Adjustments of Revised Federal Base Payment 
Rate Components
    B. Potential Design and Methodology for Case-Mix Adjustment of 
Federal Rates
    1. Background on Resident Classification System, Version I
    2. Data Sources Utilized for Developing RCS-I
    a. Medicare Enrollment Data
    b. Medicare Claims Data
    c. Assessment Data
    d. Facility Data
    3. Resident Classification Under RCS-I
    a. Background
    b. Physical and Occupational Therapy Case-Mix Classification
    c. Speech-Language Pathology Case-Mix Classification
    d. Nursing Case-Mix Classification
    e. Non-Therapy Ancillary Case-Mix Classification
    f. Payment Classifications under RCS-I
    4. Variable Per Diem Adjustment Factors and Payment Schedule
    C. Use of the Resident Assessment Instrument--Minimum Data Set, 
Version 3
    1. Potential Revisions to Minimum Data Set (MDS) Completion 
Schedule
    2. Potential Revisions to Therapy Provision Policies Under the 
SNF PPS
    3. Interrupted Stay Policy
    D. Relationship of RCS-I to Existing Skilled Nursing Facility 
Level of Care Criteria
    E. Effect of RCS-I on Temporary AIDS Add-on Payment

[[Page 20981]]

    F. Potential Impacts of Implementing RCS-I
IV. Collection of Information Requirements
V. Response to Comments

Acronyms

    In addition, because of the many terms to which we refer by acronym 
in this ANPRM, we are listing these abbreviations and their 
corresponding terms in alphabetical order below:

AIDS Acquired Immune Deficiency Syndrome
ARD Assessment reference date
BBRA Medicare, Medicaid, and SCHIP Balanced Budget Refinement Act of 
1999, Public Law 106-113
CASPER Certification and Survey Provider Enhanced Reporting
CCN CMS Certification Number
CFR Code of Federal Regulations
CMI Case-mix index
CMS Centers for Medicare & Medicaid Services
FR Federal Register
FY Fiscal year
ICD-10-CM International Classification of Diseases, 10th Revision, 
Clinical Modification
IPPS Inpatient prospective payment system
IRF Inpatient Rehabilitation Facility
IRF-PAI Inpatient Rehabilitation Facility Patient Assessment 
Instrument
LTCH Long-term care hospital
MDS Minimum data set
MMA Medicare Prescription Drug, Improvement, and Modernization Act 
of 2003, Public Law 108-173
NF Nursing facility
NTA Non-therapy ancillary
OASIS Outcome and Assessment Information Set
OMB Office of Management and Budget
PAC Post-acute care
PPS Prospective Payment System
QIES Quality Improvement and Evaluation System
QIES ASAP Quality Improvement and Evaluation System Assessment 
Submission and Processing
RAI Resident assessment instrument
RCS-I Resident Classification System, Version I
RFA Regulatory Flexibility Act, Public Law 96-354
RIA Regulatory impact analysis
RUG-III Resource Utilization Groups, Version 3
RUG-IV Resource Utilization Groups, Version 4
RUG-53 Refined 53-Group RUG-III Case-Mix Classification System
SNF Skilled nursing facility
SNF PMR Skilled Nursing Facility Payment Models Research
STM Staff time measurement
STRIVE Staff time and resource intensity verification
TEP Technical expert panel

I. Executive Summary

A. Purpose

    This ANPRM solicits comments on options we may consider for 
revising certain aspects of the existing SNF PPS payment methodology, 
to improve its accuracy, based on the results of the SNF PMR project. 
In particular, we are seeking comments on the possibility of replacing 
the SNF PPS' existing case-mix classification model, RUG-IV, with the 
RCS-I case mix model developed during the SNF PMR project. We also 
discuss and seek comment on options for how such a change could be 
implemented, as well as a number of other policy changes we may 
consider to complement implementation of RCS-I. We would note that we 
intend to propose case-mix refinements in the FY 2019 SNF PPS proposed 
rule, and this ANPRM serves to solicit comments on potential revisions 
we are considering proposing in such rulemaking.

B. Summary of Major Provisions

    In section II of this ANPRM, we discuss the current SNF PPS, 
specifically the RUG-IV case-mix classification methodology that is 
used to assign SNF Part A residents to payment groups that reflect 
varying levels of resource intensity. We also discuss issues with the 
current system which prompted CMS to consider potential revisions to 
the existing case-mix methodology. Finally, we discuss the SNF PMR 
project, which was intended to develop a replacement for the RUG-IV 
case-mix classification model within our current statutory authority.
    In section III. of this ANPRM, we discuss the case-mix model that 
could serve to replace RUG-IV, which is the RCS-I model. We begin by 
discussing the revised base rate structure that would be used under 
RCS-I, based on certain changes to the existing SNF PPS case-mix 
adjusted components that we are considering, based on the findings from 
the SNF PMR project. Similar to the current system, RUG-IV, the revised 
model, the RCS-I, would case-mix adjust for the following major cost 
categories: Physical therapy (PT), occupational therapy (OT), speech-
language pathology (SLP) services, nursing services and non-therapy 
ancillaries (NTAs). However, where RUG-IV consists of two case-mix 
adjusted components (therapy and nursing), the RCS-I would create four 
(PT/OT, SLP, nursing, and NTA) for a more resident-centered case-mix 
adjustment. We then discuss each of the potential case-mix adjusted 
components under the RCS-I model, including how residents would be 
classified under each case-mix component and the resident-
characteristics that our research indicates could serve as appropriate 
predictors of varying resource intensity for each component. Finally, 
we also discuss and solicit public comments on other potential policy 
changes, developed under the SMF PMR project, to the SNF PPS payment 
methodology.

II. Background

A. Issues Relating to the Current Case-Mix System for Payment of 
Skilled Nursing Facility Services Under Part A of the Medicare Program

    Section 1888(e)(4)(G)(i) of the Act requires the Secretary to make 
an adjustment to the per diem rates to account for case-mix. The 
statute specifies that the adjustment is to be based on both a resident 
classification system that the Secretary establishes that accounts for 
the relative resource use of different resident types, as well as 
resident assessment and other data that the Secretary considers 
appropriate.
    In general, the case-mix classification system currently used under 
the SNF PPS classifies residents into payment classification groups, 
called RUGs, based on various resident characteristics and the type and 
intensity of therapy services provided to the resident. Each RUG is 
assigned a set of case-mix indexes (CMIs) that reflect relative 
differences in cost and resource intensity for each case-mix adjusted 
component. The higher the CMI, the higher the expected resource 
utilization and cost associated with that resident's care. Under the 
existing SNF PPS methodology, there are two case-mix components. The 
nursing component reflects relative differences in a resident's 
associated nursing and non-therapy ancillary (NTA) costs, based on 
various resident characteristics, such as resident comorbidities, and 
treatments. The therapy component reflects relative differences in a 
resident's associated therapy costs, which is based on a combination of 
PT, OT, and SLP services. Resident classification under the existing 
therapy component is based primarily on the amount of therapy the SNF 
chooses to provide to a SNF resident. Under the RUG-IV model, residents 
are classified into rehabilitation groups, where payment is determined 
primarily based on the intensity of therapy services received by the 
resident, and into nursing groups, based on the intensity of nursing 
services received by the resident and other aspects of the resident's 
care and condition. However, only the higher paying of these groups is 
used for payment purposes. For example, if a resident is classified 
into a both the RUA (Rehabilitation) and PA1 (Nursing) RUG-IV groups, 
where RUA has a higher per-diem payment rate than PA1,

[[Page 20982]]

the RUA group is used for payment purposes. It should be noted that the 
vast majority of Part A covered SNF days (over 90 percent) are paid 
using a rehabilitation RUG. A variety of concerns have been raised with 
the current SNF PPS, specifically the RUG-IV model, which we discuss 
below.
    When the SNF PPS was first implemented (63 FR 26252), we developed 
the RUG-III case-mix classification model, which tied the amount of 
payment to resident resource use in combination with resident 
characteristic information. Staff time measurement (STM) studies 
conducted in 1990, 1995, and 1997 provided information on resource use 
(time spent by staff members on residents) and resident characteristics 
that enabled us not only to establish RUG-III, but also to create CMIs. 
This initial RUG-III model was refined by changes finalized in the FY 
2006 SNF PPS final rule (70 FR 45032), which included adding nine case-
mix groups to the top of the original 44-group RUG-III hierarchy, which 
created the RUG-53 case-mix model.
    In the FY 2010 SNF PPS proposed rule (74 FR 22208), we proposed a 
revised RUG-IV model based on, among other reasons, concerns that 
incentives in the SNF PPS had changed the relative amount of nursing 
resources required to treat SNF residents (74 FR 22220). These concerns 
led us to conduct a new Staff Time Measurement (STM) study, the Staff 
Time and Resource Intensity Verification (STRIVE) project, which served 
as the basis for developing the current SNF PPS case-mix classification 
model, RUG-IV, which became effective in FY 2011. At that time, we 
considered alternative case mix models, including predictive models of 
therapy payment based on resident characteristics; however, we had a 
``great deal of concern that by separating payment from the actual 
provision of services, the system, and more importantly, the 
beneficiaries would be vulnerable to underutilization.'' (74 FR 22220). 
Other options considered at the time included a non-therapy ancillary 
(NTA) payment model based on resident characteristics (74 FR 22238) and 
a DRG-based payment model that relied on information from the prior 
inpatient stay (74 FR 22220); these and other options are discussed in 
detail in a CMS Report to Congress issued in December 2006 (available 
at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/SNFPPS/Downloads/RC_2006_PC-PPSSNF.pdf).
    In the years since we implemented the SNF PPS, finalized RUG-IV, 
and made statements regarding our concerns about underutilization of 
services in previously considered models, we have witnessed a 
significant trend that has caused us to reconsider these concerns. More 
specifically, as discussed in section V.E. of the FY 2015 SNF PPS 
proposed rule (79 FR 25767), we documented and discussed trends 
observed in therapy utilization in a memo entitled ``Observations on 
Therapy Utilization Trends'' (which may be accessed at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/SNFPPS/Downloads/Therapy_Trends_Memo_04212014.pdf). The two most notable trends 
discussed in that memo were that the percentage of residents 
classifying into the Ultra-High therapy category has increased steadily 
and, of greater concern, that the percentage of residents receiving 
just enough therapy to surpass the Ultra-High and Very-High therapy 
thresholds has also increased. In that memo, we state ``the percentage 
of claims-matched MDS assessments in the range of 720 minutes to 739 
minutes, which is just enough to surpass the 720 minute threshold for 
RU groups, has increased from 5 percent in FY 2005 to 33 percent in FY 
2013'' and this trend has continued since that time. While it might be 
possible to attribute the increasing share of residents in the Ultra-
High therapy category to increasing acuity within the SNF population, 
we believe the increase in ``thresholding'' (that is, of providing just 
enough therapy for residents to surpass the relevant therapy 
thresholds) is a strong indication of service provision predicated on 
financial considerations rather than resident need. We discussed this 
issue in response to comments in the FY 2015 SNF PPS final rule, where, 
in response to comments regarding the lack of ``current medical 
evidence related to how much therapy a given resident should receive,'' 
we stated the following:

    With regard to the comments which highlight the lack of existing 
medical evidence for how much therapy a given resident should 
receive, we would note that . . . the number of therapy minutes 
provided to SNF residents within certain therapy RUG categories is, 
in fact, clustered around the minimum thresholds for a given therapy 
RUG category. However, given the comments highlighting the lack of 
medical evidence related to the appropriate amount of therapy in a 
given situation, it is all the more concerning that practice 
patterns would appear to be as homogenized as the data would 
suggest. (79 FR 45651)

    In response to comments related to factors which may explain the 
observed trends, we stated the following:

    With regard to the comment which highlighted potential 
explanatory factors for the observed trends, such as internal 
pressure within SNFs that would override clinical judgment, we find 
these potential explanatory factors troubling and entirely 
inconsistent with the intended use of the SNF benefit. Specifically, 
the minimum therapy minute thresholds for each therapy RUG category 
are certainly not intended as ceilings or targets for therapy 
provision. As discussed in Chapter 8, Section 30 of the Medicare 
Benefit Policy Manual (Pub. 100-02), to be covered, the services 
provided to a SNF resident must be ``reasonable and necessary for 
the treatment of a patient's illness or injury, that is, are 
consistent with the nature and severity of the individual's illness 
or injury, the individual's particular medical needs, and accepted 
standards of medical practice.'' (emphasis added) Therefore, 
services which are not specifically tailored to meet the 
individualized needs and goals of the resident, based on the 
resident's condition and the evaluation and judgment of the 
resident's clinicians, may not meet this aspect of the definition 
for covered SNF care, and we believe that internal provider rules 
should not seek to circumvent the Medicare statute, regulations and 
policies, or the professional judgment of clinicians. (79 FR 45651 
through 45652)

    In addition to this discussion of observed trends, others have also 
identified potential areas of concern within the current SNF PPS. The 
two most notable sources are the Office of the Inspector General (OIG) 
and the Medicare Payment Advisory Commission (MedPAC).
    With regard to the OIG, three recent OIG reports describe the OIG's 
concerns with the current SNF PPS. In December 2010, the OIG released a 
report entitled ``Questionable Billing by Skilled Nursing Facilities'' 
(which may be accessed at https://oig.hhs.gov/oei/reports/oei-02-09-00202.pdf). In this report, among its findings, the OIG found that 
``from 2006 to 2008, SNFs increasingly billed for higher paying RUGs, 
even though beneficiary characteristics remained largely unchanged'' 
(OEI-02-09-00202, ii), and among other things, recommended that we 
should ``consider several options to ensure that the amount of therapy 
paid for by Medicare accurately reflects beneficiaries' needs'' (OEI-
02-09-00202, iii). Further, in November 2012, the OIG released a report 
entitled ``Inappropriate Payments to Skilled Nursing Facilities Cost 
Medicare More Than a Billion Dollars in 2009'' (which may be accessed 
at https://oig.hhs.gov/oei/reports/oei-02-09-00200.pdf). In this 
report, the OIG found that ``SNFs billed one-quarter of all claims in 
error in 2009'' and that the ``majority of the claims in error were 
upcoded; many of these claims were for ultrahigh

[[Page 20983]]

therapy.'' (OEI-02-09-00200, Executive Summary). Among its 
recommendations, the OIG stated that ``the findings of this report 
provide further evidence that CMS needs to change how it pays for 
therapy'' (OEI-02-09-00200, 15). Finally, in September 2015, the OIG 
released a report entitled ``The Medicare Payment System for Skilled 
Nursing Facilities Needs to be Reevaluated'' (which may be accessed at 
https://oig.hhs.gov/oei/reports/oei-02-13-00610.pdf). Among its 
findings, the OIG found that ``Medicare payments for therapy greatly 
exceed SNFs' costs for therapy,'' further noting that ``the difference 
between Medicare payments and SNFs' costs for therapy, combined with 
the current payment method, creates an incentive for SNFs to bill for 
higher levels of therapy than necessary'' (OEI-02-13-00610, 7). Among 
its recommendations, the OIG stated that CMS should ``change the method 
of paying for therapy,'' further stating that ``CMS should accelerate 
its efforts to develop and implement a new method of paying for therapy 
that relies on beneficiary characteristics or care needs.'' (OEI-02-13-
00610, 12).
    With regard to MedPAC's recommendations in this area, Chapter 8 of 
MedPAC's March 2017 Report to Congress (available at http://www.medpac.gov/docs/default-source/reports/mar17_medpac_ch8.pdf) 
includes the following recommendation: ``The Congress should . . . 
direct the Secretary to revise the prospective payment system (PPS) for 
skilled nursing facilities'' and ``. . . make any additional 
adjustments to payments needed to more closely align payment with 
costs.'' (March 2017 MedPAC Report to Congress, 220). This 
recommendation is seemingly predicated on MedPAC's own analysis of the 
current SNF PPS, where they state that ``almost since its inception the 
SNF PPS has been criticized for encouraging the provision of excessive 
rehabilitation therapy services and not accurately targeting payments 
for nontherapy ancillaries'' (March 2017 MedPAC Report to Congress, 
202). Finally, with regard to the possibility of changing the existing 
SNF payment system, MedPAC stated that ``since 2015, [CMS] has gathered 
four expert panels to receive input on aspects of possible design 
features before it proposes a revised PPS'' and further that ``the 
designs under consideration are consistent with those recommended by 
the Commission'' (March 2017 MedPAC Report to Congress, 203).
    The combination of the observed trends in the current SNF PPS 
discussed above (which strongly suggest that providers may be basing 
service provision on financial reasons rather than resident need), the 
issues raised in the OIG reports discussed above, and the issues raised 
by MedPAC, has caused us to consider significant revisions to the 
existing SNF PPS, in keeping with our overall responsibility to ensure 
that payments under the SNF PPS accurately reflect both resident needs 
and resource utilization.
    Under the RUG-IV system, therapy service provision determines not 
only therapy payments, but also nursing payments. This is because, as 
noted above, only one of a resident's assigned RUG groups, 
rehabilitation or nursing, is used for payment purposes. Each 
rehabilitation group is assigned a nursing CMI to reflect relative 
differences in nursing costs for residents in those rehabilitation 
groups, which is less specifically tailored to the individual nursing 
costs for a given resident than the nursing CMIs assigned for the 
nursing RUGs. Given that, as mentioned above, most resident days are 
paid using a rehabilitation RUG, and since assignment into a 
rehabilitation RUG is based on therapy service provision, this means 
that therapy service provision effectively determines nursing payments 
for those residents who are assigned to a rehabilitation RUG. Thus, we 
believe any attempts to revise the SNF PPS payment methodology to 
better account for therapy service provision under the SNF PPS would 
need to be comprehensive and affect both the therapy and nursing case-
mix components. Moreover, in the FY 2015 SNF PPS final rule, in 
response to comments regarding access for certain ``specialty'' 
populations (such as those with complex nursing needs), we stated the 
following:

    With regard to the comment on specialty populations, we agree 
with the commenter that access must be preserved for all categories 
of SNF residents, particularly those with complex medical and 
nursing needs. As appropriate, we will examine our current 
monitoring efforts to identify any revisions which may be necessary 
to account appropriately for these populations. (79 FR 45651)

    In addition, MedPAC, in their March 2017 Report to Congress, stated 
that they have previously recommended that we revise the current SNF 
PPS to ``base therapy payments on patient characteristics (not service 
provision), remove payments for NTA services from the nursing 
component, [and] establish a separate component within the PPS that 
adjusts payments for NTA services'' (March 2017 MedPAC Report to 
Congress, 202). Accordingly, we note that included among the potential 
revisions we discuss in this ANPRM, are revisions to the SNF PPS to 
address longstanding concerns regarding the ability of the RUG-IV 
system to account for variation in nursing and NTA services, as 
described in sections III.D.3.d and III.D.3.e. of this ANPRM.
    In the sections that follow, we solicit comments on comprehensive 
revisions to the current SNF PPS case-mix classification system. 
Specifically, we discuss a potential alternative to the existing RUG-
IV, called RCS-I, which we are considering. We solicit comment on the 
extent to which RCS-I addresses the issues we outline above. As further 
discussed below, we believe that the RCS-I model represents an 
improvement over the RUG-IV model because it would better account for 
resident characteristics and care needs, thus better aligning SNF PPS 
payments with resource use and eliminating therapy provision-related 
financial incentives inherent in the current payment model used in the 
SNF PPS. To better ensure that resident care decisions appropriately 
reflect each resident's actual care needs, we believe it is important 
to remove, to the extent possible, service-based metrics from the SNF 
PPS and derive payment from objective resident characteristics.

B. Summary of the Skilled Nursing Facility Payment Models Research 
Project

    As noted above, since 1998, Medicare Part A has paid for SNF 
services on a per diem basis through the SNF PPS. Currently, therapy 
payments under the SNF PPS are based primarily on the amount of therapy 
furnished to a patient, regardless of that patient's specific 
characteristics and care needs. Beginning in 2013, we contracted with 
Acumen, LLC to identify potential alternatives to the existing 
methodology used to pay for services under the SNF PPS. The 
recommendations developed under this contract, entitled the SNF PMR 
project, form the basis of the ideas contained in the sections below.
    The SNF PMR operated in three phases. In the first phase of the 
project, which focused exclusively on therapy payment issues, Acumen 
reviewed past research studies and policy issues related to SNF PPS 
therapy payment and options for improving or replacing the current 
therapy payment methodology. After consideration of multiple potential 
alternatives, such as competitive bidding and a hybrid model combining 
resource-based pricing (for example, how therapy payments are made 
under the current SNF PPS) with resident characteristics, we identified 
a model that relies on resident

[[Page 20984]]

characteristics rather than the amount of therapy received as the most 
appropriate replacement for the existing therapy payment model. As 
stated above, we believe that relying on resident characteristics would 
improve the resident-centeredness of the model and discourage resident 
care decisions predicated on service-based financial incentives. A 
report summarizing Acumen's activities and recommendations during the 
first phase of the SNF PMR contract, the SNF Therapy Payment Models 
Base Year Final Summary Report, is available at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/SNFPPS/Downloads/Summary_Report_20140501.pdf.
    In the second phase of the project, Acumen used the findings from 
the Base Year Final Summary Report as a guide to identify potential 
models suitable for further analysis. During this phase of the project, 
in an effort to establish a comprehensive approach to Medicare Part A 
SNF payment reform, we expanded the scope of the SNF PMR to encompass 
other aspects of the SNF PPS beyond therapy. Although we always 
intended to ensure that any revisions specific to therapy payment would 
be considered as part of an integrated approach with the remaining 
payment methodology, we felt it prudent to examine potential 
improvements and refinements to the overall SNF PPS payment system as 
well.
    During this phase of the SNF PMR, Acumen hosted four Technical 
Expert Panels (TEPs), which brought together industry experts, 
stakeholders, and clinicians with the research team to discuss 
different topics within the overall analytic framework. In February 
2015, Acumen hosted a TEP to discuss questions and issues related to 
therapy case-mix classification. In November 2015, Acumen hosted a 
second TEP focused on questions and issues related to nursing case-mix 
classification, as well as to discuss issues related to payment for 
NTAs. In June 2016, Acumen hosted a third TEP to provide stakeholders 
with an outline of a potential revised SNF PPS payment structure, 
including new case-mix adjusted components and potential companion 
policies, such as variable per diem payment adjustments. Finally, in 
October 2016, Acumen hosted a fourth TEP, during which Acumen presented 
the case-mix components for a potential revised SNF PPS, as well as an 
initial impact analysis associated with the potential revised SNF PPS 
payment model. The presentation slides used during each of the TEPs, as 
well as a summary report for each TEP, is available at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/SNFPPS/therapyresearch.html.
    In the final phase of the contract, which is ongoing, we tasked 
Acumen to assist in developing supporting language and documentation, 
most notably a technical report, related to the alternative SNF PPS 
case-mix classification model we are considering, which we have named 
the RCS-I.
    This ANPRM solicits comments on the issues with the current SNF 
PPS, and what steps should be taken to refine the existing SNF PPS in 
response to those issues. In particular, in this ANPRM, we discuss and 
are soliciting comments regarding how we could replace the existing 
RUG-IV case-mix classification model with a potential alternative such 
as the RCS-I case-mix classification model. We solicit comments on the 
adequacy and appropriateness of the RCS-I case-mix model to serve as a 
replacement for the RUG-IV model. Our goals in developing a potential 
alternative are as follows:
     To create a model that compensates SNFs accurately based 
on the complexity of the particular beneficiaries they serve and the 
resources necessary in caring for those beneficiaries; and
     To address our concerns, along with those of OIG and 
MedPAC, about current incentives for SNFs to deliver therapy to 
beneficiaries based on financial considerations, rather than the most 
effective course of treatment for beneficiaries; and
     To maintain simplicity by, to the extent possible, 
limiting the number and type of elements we use to determine case-mix, 
as well as limiting the number of assessments necessary under the 
payment system.
    We solicit comment on the goals outlined above and how effective 
the RCS-I system we outline below is at addressing those goals.
    In addition to the general discussion of RCS-I, we also discuss and 
are soliciting public comment on certain complementary policies that we 
believe could also serve to improve the SNF PPS. To provide commenters 
with an appropriate basis for comment on RCS-I, we also discuss the 
potential impact to providers of implementing this type of model. We 
also solicit public comment on certain logistical aspects of 
implementing revisions to the current SNF PPS, such as whether those 
revisions should be implemented in a budget neutral manner, and how 
much lead time providers and other stakeholders should receive before 
any finalized changes would be implemented. Finally, we are soliciting 
public comment on other potential issues CMS should consider in 
implementing revisions to the current SNF PPS, such as potential 
effects on state Medicaid programs, potential behavioral changes, and 
the type of education and training that would be necessary to implement 
successfully any changes to the SNF PPS.
    In the sections below, we outline each aspect of the RCS-I case-mix 
classification model we are considering, as well as additional 
revisions to the SNF PPS which may be considered along with potential 
implementation of the RCS-I classification model. We invite comments on 
any and all aspects of the RCS-I case-mix model, including the research 
analyses described in this ANPRM and in the SNF PMR Technical Report 
(available at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/SNFPPS/therapyresearch.html), as well as on any of the other 
considerations discussed in this ANPRM.

III. Potential Revisions to SNF PPS Payment Methodology

A. Revisions to SNF PPS Federal Base Payment Rate Components

1. Background on SNF PPS Federal Base Payment Rates and Components
    Section 1888(e)(4) of the Act requires that the SNF PPS per diem 
federal payment rates be based on FY 1995 costs, updated for inflation. 
These base rates are then required to be adjusted to reflect 
differences in patient case-mix. In keeping with this statutory 
requirement, the base per diem payment rates were set in 1998 and 
reflect average SNF costs in a base year (FY 1995), updated for 
inflation to the first period of the SNF PPS, which was the 15-month 
period beginning on July 1, 1998. The federal base payment rates were 
calculated separately for urban and rural facilities and based on 
allowable costs from the FY 1995 cost reports of hospital-based and 
freestanding SNFs, where allowable costs included all routine, 
ancillary, and capital-related costs (excluding those related to 
approved educational activities) associated with SNF services provided 
under Part A, and all services and items for which payment could be 
made under Part B prior to July 1, 1998.
    In general, routine costs are those included by SNFs in a daily 
service charge and include regular room, dietary, and nursing services, 
medical social services and psychiatric social services, as well as the 
use of certain facilities and equipment for which a separate charge is 
not made. Ancillary

[[Page 20985]]

costs are directly identifiable to residents and cover specialized 
services, including therapy, drugs, and laboratory services. Lastly, 
capital-related costs include the costs of land, building, and 
equipment and the interest incurred in financing the acquisition of 
such items. (63 FR 26253)
    There are four federal base payment rate components which may 
factor into SNF PPS payment. Two of these components, ``nursing case-
mix'' and ``therapy case-mix,'' are case-mix adjusted components, while 
the remaining two components, ``therapy non-case-mix'' and ``non-case-
mix,'' are not case-mix adjusted. While we discuss the details of the 
RCS-I payment model and justifications for certain associated policies 
we are considering in section III.D. of this ANPRM, we note that, as 
part of the RCS-I case-mix model under consideration, we would 
bifurcate both the ``nursing case-mix'' and ``therapy case-mix'' 
components of the federal base payment rate into two components each, 
thereby creating four case-mix adjusted components. More specifically, 
we would separate the ``therapy case-mix'' rate component into a 
``Physical Therapy/Occupational Therapy'' (PT/OT) component and a 
``Speech-Language Pathology'' (SLP) component. Our rationale for 
bifurcating the therapy case-mix component in this manner is presented 
in section III.D.3.b. of this ANPRM. Based on the results of the SNF 
PMR, we would also separate the ``nursing case-mix'' rate component 
into a ``nursing'' component and a ``Non-Therapy Ancillary'' (NTA) 
component. Our rationale for bifurcating the nursing case-mix component 
in this manner is presented in section III.D.3.e. of this ANPRM. Given 
that all SNF residents, under the RCS-I model, would be assigned to a 
classification group for each of the two therapy-related case-mix 
adjusted components as further discussed below, we believe that we 
could eliminate the ``therapy non-case-mix'' rate component under the 
RCS-I model. The existing non-case-mix component could be maintained as 
it is currently constituted under the existing SNF PPS. Although the 
case-mix components of the RCS-I case-mix classification system would 
address costs associated with individual resident care based on an 
individual's specific needs and characteristics, the non-case-mix 
component addresses consistent costs that are incurred for all 
residents, such as room and board and various capital-related expenses. 
As these costs are not likely to change, regardless of what changes we 
might make to the SNF PPS, we believe it would be appropriate to 
continue using the non-case-mix component as it is currently used.
    In the next section, we discuss the methodology we used to 
bifurcate the federal base payment rates for each of the two existing 
case-mix adjusted components, as well as the data sources used in this 
calculation. The methodology does not calculate new federal base 
payment rates, but simply splits the existing base rate case-mix 
components for therapy and nursing. The methodology and data used in 
this calculation are based on the data and methodology used in the 
calculation of the original federal payment rates in 1998, as further 
discussed below.
2. Data Sources Utilized for Revision of Federal Base Payment Rate 
Components
    Section II.A.2. of the interim final rule with comment period that 
initially implemented the SNF PPS (63 FR 26256 through 26260) provides 
a detailed discussion of the data sources used to calculate the 
original federal base payment rates in 1998. We are considering using 
the same data sources to determine the portion of the therapy case-mix 
component base rate that would be assigned to the SLP component base 
rate. As described in section III.C.3. of this ANPRM, the methodology 
for bifurcating the nursing component base rate is different than the 
methodology used for bifurcating the therapy component base rate, 
despite using the same data sources. The portion of the nursing 
component base rate that corresponds to NTA costs was already 
calculated using the same data source used to calculate the federal 
base payment rates in 1998. As explained below, we used the previously 
calculated percentage of the nursing component base rate corresponding 
to NTA costs to set the NTA base rate, and verified this calculation 
with the analysis described in section III.C.3 of this ANPRM. 
Therefore, the steps described below address the calculations performed 
to bifurcate the therapy base rate alone.
    The percentage of the current therapy case-mix component of the 
federal base payment rates that would be assigned to the SLP component 
of the federal base payment rates was determined using cost information 
from FY 1995 cost reports, after making the following exclusions and 
adjustments: First, only settled and as-submitted cost reports for 
hospital-based and freestanding SNFs for periods beginning in FY 1995 
and spanning 10 to 13 months were included. This set of restrictions 
replicates the restrictions used to derive the original federal base 
payment rates as set forth in the 1998 interim final rule with comment 
period (63 FR 26256). Following the methodology used to derive the SNF 
PPS base rates, routine and ancillary costs from ``as submitted'' cost 
reports were adjusted down by 1.31 and 3.26 percent, respectively. As 
discussed in the 1998 interim final rule with comment period, the 
specific adjustment factors were chosen to reflect average adjustments 
resulting from cost report settlement and were based on a comparison of 
as-submitted and settled reports from FY 1992 to FY 1994 (63 FR 26256); 
these adjustments are in accordance with section 1888(e)(4)(A)(i) of 
the Act. We used similar data, exclusions, and adjustments as in the 
original base rates calculation so the resulting base rates for the 
components would resemble as closely as possible what they would have 
been had they been established in 1998. However, there were two ways in 
which the SLP percentage calculation deviates from the 1998 base rates 
calculation. First, the 1998 calculation of the base rates excluded 
reports for facilities exempted from cost limits in the base year. The 
available data do not identify which facilities were exempted from cost 
limits in the base year, so this restriction was not implemented. We do 
not believe this had a notable impact on our estimate of the SLP 
percentage, because only a small fraction of facilities were exempted 
from cost limits. Consistent with the 1998 base rates calculation, we 
excluded facilities with per diem costs more than three standard 
deviations higher than the geometric mean across facilities. Therefore, 
facilities with unusually high costs did not influence our estimate. 
Second, the 1998 calculation of the base rates excluded costs related 
to exceptions payments and costs related to approved educational 
activities. The available cost report data did not identify costs 
related to exceptions payments nor indicate what percentage of overall 
therapy costs or costs by therapy discipline were related to approved 
educational activities, so these costs are not excluded from the SLP 
percentage calculation. Because exceptions were only granted for 
routine costs, we believe the inability to exclude these costs should 
not affect our estimate of the SLP percentage (as exceptions would not 
apply to therapy costs). Additionally, the data indicate that 
educational costs made up less than one-hundredth of 1 percent of 
overall SNF costs. If the proportion of educational costs is relatively 
uniform across cost categories, the inability to

[[Page 20986]]

exclude these costs should have a negligible impact on our estimate.
    In addition to Part A costs from the cost report data, the 1998 
federal base rates calculation incorporated estimates of amounts 
payable under Part B for covered SNF services provided to Part A SNF 
residents, as required by section 1888(e)(4)(A)(ii) of the Act. In 
calculating the SLP percentage, we also estimated the amounts payable 
under Part B for covered SNF services provided to Part A residents. All 
Part B claims associated with Part A SNF claims overlapping with FY 
1995 cost reports were matched to the corresponding facility's cost 
report. For each cost center (for example, SLP, PT, OT) in each cost 
report, a ratio was calculated to determine the amount by which Part A 
costs needed to be increased to account for the portion of costs 
payable under Part B. This ratio for each cost center was determined by 
dividing the total charges from the matched Part B claims by the total 
charges from the Part A SNF claims overlapping with the cost report.
    Finally, the 1998 federal base rates calculation standardized the 
cost data for each facility to control for the effects of case-mix and 
geographic-related wage differences, as required by section 
1888(e)(4)(C) of the Act. When calculating the SLP share of the current 
therapy base rate, we replicated the method used in 1998 to standardize 
for wage differences, as described in the 1998 interim final rule with 
comment period (63 FR 26259 through 26260). We applied a hospital wage 
index to the labor-related share of costs, estimated at 75.888 percent, 
and used an index composed of hospital wages from FY 1994. The SLP 
percentage calculation did not include the case-mix adjustment used in 
the 1998 calculation because the 1998 adjustment relied on the obsolete 
RUG-III classification system. In the 1998 federal base rates 
calculation, information from SNF and inpatient claims was mapped to 
RUG-III clinical categories at the resident level to case-mix adjust 
facility per diem costs. However, the 1998 interim final rule did not 
document this mapping, and the data used as the basis for this 
adjustment are no longer available, and therefore this step could not 
be replicated. Because the case-mix adjustment was applied at the 
facility level, the inability to replicate this step should not impact 
our estimate of the SLP percentage, as we expect the case-mix 
adjustment would affect the estimates of SLP and total therapy per diem 
costs to the same degree.
3. Methodology Used for the Calculation of Revised Federal Base Payment 
Rate Components
    As discussed above, we are considering separating the current 
therapy components into a PT/OT component and an SLP component. To do 
this, we considered calculating the percentage of the current therapy 
component of the federal base rate that corresponds to each of the two 
RCS-I components (PT/OT and SLP) in accordance with the methodology set 
forth below.
    The data described in section III.C.2. of this ANPRM provides cost 
estimates for the Medicare Part A SNF population for each cost report 
that met the inclusion criteria. Cost reports stratify costs by a 
number of cost centers that indicate different types of services. For 
instance, costs are reported separately for each of the three therapy 
disciplines (PT, OT, and SLP). Cost reports also include the number of 
Medicare Part A utilization days during the cost reporting period. This 
allows us to calculate both average SLP costs per day and average 
therapy costs per day in the facility during the cost reporting period. 
Therapy costs are defined as the sum of costs for the three therapy 
disciplines.
    The goal of this methodology is to estimate the fraction of therapy 
costs that corresponds to SLP costs. We use the facility-level averages 
developed from cost reports to derive a federal average for both 
therapy costs and SLP costs. To do this, we followed the methodology 
outlined in section II.A.3 of the 1998 interim final rule with comment 
period (63 FR 26260), which was used by CMS (then known as HCFA) to 
create the federal base payment rates:
    (1) For each of the two measures of cost (SLP costs per day and 
total therapy costs per day), we computed the mean based on data from 
freestanding SNFs only. This mean was weighted by the total number of 
Medicare days of the facility.
    (2) For each of the two measures of cost (SLP costs per day and 
total therapy costs per day), we computed the mean based on data from 
both hospital-based and freestanding SNFs. This mean was weighted by 
the total number of Medicare days of the facility.
    (3) For each of the two measures of cost (SLP costs per day and 
total therapy costs per day), we calculated the arithmetic mean of the 
amounts determined under steps (1) and (2) above.
    In section 3.11.3 of the SNF PMR Technical Report (available at 
https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/SNFPPS/therapyresearch.html), we show the results of each of these 
calculations.
    The three steps outlined above produce a measure of SLP costs per 
day and a measure of therapy costs per day. We divided the SLP cost 
measure by the therapy cost measure to obtain the percentage of the 
therapy component that corresponds to SLP costs. We believe that 
following a methodology to derive the SLP percentage that is consistent 
with the methodology used to determine the base rates in the 1998 
interim final rule with comment period is appropriate because a 
consistent methodology helps to ensure that the resulting base rates 
for the components resemble what they would be had they been 
established in 1998 and that the methodology is as consistent as 
possible with the relevant statutory requirements, as discussed in 
section III.A.1 above. We found that 16 percent of the therapy 
component of the base rate for urban SNFs and 18 percent of the therapy 
component of the base rate for rural SNFs correspond to SLP costs. 
Under the RCS-I model we are considering, the current therapy case-mix 
component would be separated into a Physical Therapy/Occupational 
Therapy component and a Speech-Language Pathology component using the 
percentages derived above. This process is done separately for urban 
and for rural facilities. In section 3.11.3 of the SNF PMR Technical 
Report (available at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/SNFPPS/therapyresearch.html), we provide the specific 
cost centers used to identify SLP costs and total therapy costs.
    In addition, we are considering separating the current nursing 
case-mix component into a nursing case-mix component and an NTA 
component. Similar to the therapy component, we are considering 
calculating the percentage of the current nursing component of the 
federal base rates that corresponds to each of the two RCS-I components 
(NTA and nursing). The 1998 reopening of the comment period for the 
interim final rule (63 FR 65561, November 27, 1998) states that NTA 
costs comprise 43.4 percent of the current nursing component of the 
urban federal base rate, and the remaining 56.6 percent accounts for 
nursing and social services salary costs. These percentages for the 
nursing component of the federal base rate for rural facilities are 
42.7 percent and 57.3 percent, respectively (63 FR 65561). Therefore, 
we are considering assigning 43 percent of the current nursing 
component of the federal base rates to the new NTA

[[Page 20987]]

component of the federal base rate, and to assign the remaining 57 
percent to the new nursing component of the federal base rate.
    We verified the 1998 calculation of the percentages of the nursing 
component federal base rates that correspond to NTA costs by developing 
a measure of NTA costs per day for urban and rural facilities. We used 
the same data and followed the same methodology described above to 
develop measures of SLP costs per day and total therapy costs per day. 
The measure of NTA costs per day produced by this analysis is $47.70 
for urban facilities and $47.30 for rural facilities. The original 1998 
federal base rates for the nursing component, which relied on a similar 
methodology, were $109.48 for urban facilities and $104.88 for rural 
facilities. Therefore, our measure of NTA costs in urban facilities was 
equivalent to 43.6 percent of the urban 1998 federal nursing base rate, 
and our measure of NTA costs in rural facilities was equivalent to 45.1 
percent of the rural 1998 federal nursing base rate. These results are 
similar to the estimates published in the 1998 reopening of the comment 
period for the interim final rule (63 FR 65561, November 27, 1998), 
which we believe supports the validity of the 43 percent figure stated 
above.
    For illustration purposes, Tables 1 and 2 set forth what the 
unadjusted federal per diem rates would be for each of the case-mix 
adjusted components if we were to apply the RCS-I case-mix 
classification model to the proposed FY 2018 base rates (as set forth 
in the FY 2018 SNF PPS proposed rule. These are derived by dividing the 
proposed FY 2018 SNF PPS base rates according to the percentages 
described above. Tables 1 and 2 also show what the unadjusted federal 
per diem rates for the non-case-mix component would be, which are not 
affected by the change in case-mix methodology from the RUG-IV to the 
RCS-I. We use these unadjusted federal per diem rates in calculating 
the impact analysis discussed in section III.H. of this ANPRM.

                                                 Table 1--RCS-I Unadjusted Federal Rate Per Diem--Urban
--------------------------------------------------------------------------------------------------------------------------------------------------------
                           Rate component                                Nursing            NTA             PT/OT             SLP          Non-case-mix
--------------------------------------------------------------------------------------------------------------------------------------------------------
Per Diem Amount....................................................         $100.91           $76.12          $126.76           $24.14           $90.35
--------------------------------------------------------------------------------------------------------------------------------------------------------


                                                 Table 2--RCS-I Unadjusted Federal Rate Per Diem--Rural
--------------------------------------------------------------------------------------------------------------------------------------------------------
                           Rate component                                Nursing            NTA             PT/OT             SLP          Non-case-mix
--------------------------------------------------------------------------------------------------------------------------------------------------------
Per Diem Amount....................................................          $96.40           $72.72          $141.47           $31.06           $92.02
--------------------------------------------------------------------------------------------------------------------------------------------------------

    We invite comments on the data sources and methodology we are 
considering for calculating the unadjusted federal per diem rates and 
components that would be used in conjunction with the RCS-I case-mix 
classification model.
4. Updates and Wage Adjustments of Revised Federal Base Payment Rate 
Components
    In section III.B. of the FY 2017 SNF PPS final rule (81 FR 51972), 
we describe the process used to update the federal per diem rates each 
year. Additionally, as discussed in section III.B.4 of the FY 2017 SNF 
PPS final rule (81 FR 51978), SNF PPS rates are adjusted for geographic 
differences in wages using the most recent hospital wage index. Under 
the RCS-I case-mix model we are considering, we would continue to 
update the federal base payment rates and adjust for geographic 
differences in wages following the current methodology used for such 
updates and wage index adjustments under the SNF PPS. Specifically, 
under the RCS-I case-mix model, we would continue the practice of using 
the SNF market basket, adjusted as described in section III.B. of the 
FY 2017 SNF PPS final rule, and of adjusting for geographic differences 
in wages as described in section III.B.4 of the FY 2017 SNF PPS final 
rule. We invite comments on these ideas.

B. Potential Design and Methodology for Case-Mix Adjustment of Federal 
Rates

1. Background on Resident Classification System, Version I
    Section 1888(e)(4)(G)(i) of the Act requires that the Secretary 
provide for an appropriate adjustment to account for case mix and that 
such an adjustment shall be based on a resident classification system 
that accounts for the relative resource utilization of different 
patient types. The current case-mix classification system uses a 
combination of resident characteristics and service intensity metrics 
(for example, therapy minutes) to assign residents to one of 66 RUGs, 
each of which has a set of CMIs indicative of the relative cost to a 
SNF of treating residents within that classification category. However, 
as noted in section III.A. of this ANPRM, incorporating service-based 
metrics into the payment system can incentivize the provision of 
services based on a facility's financial considerations rather than 
resident needs. To better ensure that resident care decisions 
appropriately reflect each resident's actual care needs, we believe it 
is important to remove, to the extent possible, service-based metrics 
from the SNF PPS and derive payment from objective resident 
characteristics that are resident, and not facility, centered. To that 
end, RCS-I was developed to be a payment model which derives almost 
exclusively from verifiable resident characteristics.
    Additionally, the current RUG-IV case-mix classification system 
reduces the varied needs and characteristics of a resident into a 
single RUG-IV group that is used for payment. As of FY 2016, of the 66 
possible RUG classifications, over 90 percent of covered SNF PPS days 
are billed using one of the 23 Rehabilitation RUGs, with over 60 
percent of covered SNF PPS days billed using one of the three Ultra-
High Rehabilitation RUGs. The implication of this pattern is that more 
than half of the days billed under the SNF PPS effectively utilize only 
a resident's therapy minutes and Activities of Daily Living (ADL) score 
to determine the appropriate payment for all aspects of a resident's 
care. Both of these metrics, more notably a resident's therapy minutes, 
may derive not so much from the resident's own characteristics, but 
rather, from the type and amount of care the SNF decides to provide to 
the resident. Even assuming that the facility takes the resident's 
needs and unique characteristics into account in making these service 
decisions, the focus of payment remains centered, to a potentially 
great extent, on the facility's

[[Page 20988]]

own decision making and not on the resident's needs.
    While the RUG-IV model utilizes a host of service-based metrics 
(type and amount of care the SNF decides to provide) to classify the 
resident into a single RUG-IV group, the RCS-I model under 
consideration would separately identify and adjust for the varied needs 
and characteristics of a resident's care and then combine them 
together. We believe that the RCS-I classification model could improve 
the SNF PPS by basing payments predominantly on clinical 
characteristics rather than service provision, thereby enhancing 
payment accuracy and strengthening incentives for appropriate care.
2. Data Sources Utilized for Developing RCS-I
    To understand, research, and analyze the costs of providing Part A 
services to SNF residents, Acumen utilized a variety of data sources in 
the course of their research. In this section, we discuss these sources 
and how they were used in the SNF PMR in developing the RCS-I case-mix 
classification model. A more thorough discussion of the data sources 
used during the SNF PMR is available in section 3.1 of the SNF PMR 
Technical Report (available at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/SNFPPS/therapyresearch.html).
a. Medicare Enrollment Data
    Beneficiary enrollment and demographic information was pulled from 
the CMS enrollment database (EDB) and Common Medicare Environment 
(CME). Beneficiaries' Medicare enrollment was used to apply 
restrictions to create a study population for analysis. For example, 
beneficiaries were required to have continuous Medicare Part A 
enrollment during a stay. Demographic characteristics (for example, 
age) were incorporated as being predictive of resource use. 
Furthermore, enrollment and demographic information from these data 
sources were used to assess the impact of the RCS-I model under 
consideration on subpopulations of interest. In particular, the EDB and 
CME include indicators for potentially vulnerable subpopulations, such 
as those dually-enrolled in Medicaid.
b. Medicare Claims Data
    Medicare Parts A and B claims from the CMS Common Working Files 
(CWF) and Prescription Drug Event (PDE) claims from the PDE database 
were used to conduct claims analyses as part of the SNF PMR. The claims 
data analyzed derived from SNF claims. SNF claims (CMS-1450 form, OMB 
control number 0938-0997), including type of bill (TOB) 21x (SNF 
Inpatient Part A) and 18x (hospital swing bed), were used to identify 
Medicare Part A stays paid under the SNF PPS. Part A stays were 
constructed by linking claims that share the same beneficiary 
identifier, facility CMS Certification Number (CCN), and admission 
date. Information from the claims, such as RUGs, diagnoses, and 
assessment dates, were aggregated across a stay. Stays created from SNF 
claims were linked to other claims data and assessment data via 
beneficiary identifiers.
    Acute care hospital stays that qualified the beneficiary for the 
SNF benefit were identified using Medicare inpatient hospital claims. 
More specifically, the dates of the qualifying hospital stay listed in 
the span codes of the SNF claim were used, connecting inpatient claims 
with those dates listed as the admission and discharge dates. Although 
there are exceptions, the claims from the preceding inpatient 
hospitalization commonly contain clinical and service information 
relevant to the care administered during a SNF stay. Components of this 
information were used in the regression models predicting therapy and 
NTA costs or to better understand patterns of post-acute care referrals 
for patients requiring SNF services. Additionally, the most recent 
hospital stay was matched to the SNF stay, which often (though not 
always) was the same as the preceding inpatient hospitalization, and 
used in the regression models.
    Other Medicare claims, including outpatient hospital, physician, 
home health, hospice, durable medical equipment, and drug 
prescriptions, were incorporated, as necessary, into the analysis in 
one of three ways: (i) To verify information found on assessment and 
SNF or inpatient claims data; (ii) to provide additional resident 
characteristics to test outside of those found in assessment and SNF 
and inpatient claims data; and (iii) to stratify modeling results to 
identify effects of the system on beneficiary subpopulations. These 
claims were linked to SNF claims using beneficiary identifiers.
c. Assessment Data
    MDS assessments were the primary source of resident characteristics 
used to explain service use and payment in the SNF setting. Acumen's 
data repositories include MDS assessments submitted by SNFs and swing-
bed hospitals. MDS version 2.0 assessments were submitted until October 
2010, at which point MDS version 3.0 assessments began. MDS data were 
extracted from the Quality Improvement Evaluation System (QIES). MDS 
assessments were then matched to SNF claims data using the beneficiary 
identifier, assessment indicator, assessment date, and Resource 
Utilization Group (RUG).
    The SNF PMR also used assessment data not available in the SNF 
setting. Data from the IRF Patient Assessment Instrument (IRF-PAI) and 
Outcome and Assessment Information Set (OASIS) were used to identify 
characteristics that are predictive of service use and costs in the IRF 
and home health settings, to consider potential similarities with 
service use in the SNF setting. IRF-PAI and OASIS include assessments 
for all Medicare IRF and home health patients, regardless of fee-for-
service or Medicare Advantage enrollment. While the care furnished in 
the IRF and home health settings may differ from that furnished in a 
SNF, there are similarities in the patient populations across PAC 
settings. IRF-PAI and OASIS data were used for exploratory analyses but 
were not used to develop RCS-I payment components.
d. Facility Data
    Facility characteristics, while not considered as explanatory 
variables when modeling service use, were used for impact analyses. By 
incorporating this facility-level information, we could identify any 
disproportionate effects of the new case-mix classification system on 
different types of facilities.
    Facility-level characteristics were taken from the Certification 
and Survey Provider Enhanced Reports (CASPER). From CASPER, we draw 
facility-level characteristics such as ownership, chain affiliation, 
facility size, and staffing levels. CASPER data were supplemented with 
information from publicly available data sources. The principal data 
sources that are publicly available include the Medicare Cost Reports 
(Form 2540-10, 2540-96, and 2540-92) extracted from the Healthcare Cost 
Report Information System (HCRIS) files, Provider-Specific Files (PSF), 
Provider of Service files (POS), and Nursing Home Compare (NHC). These 
data sources have information on facility costs and payment and 
characteristics that directly affect PPS calculations.
3. Resident Classification Under RCS-I
a. Background
    As noted above, section 1888(e)(4)(G)(i) of the Act requires that 
the Secretary provide for an appropriate adjustment to account for case 
mix and that such an adjustment shall be based

[[Page 20989]]

on a resident classification system that accounts for the relative 
resource utilization of different patient types. RCS-I was developed to 
be a model of payment which derives almost exclusively from resident 
characteristics. More specifically, the RCS-I model under consideration 
separately identifies and adjusts four different case-mix components 
for the varied needs and characteristics of a resident's care and then 
combines these together with the non-case-mix component to form the 
full SNF PPS per diem rate for that resident.
    As with any case-mix classification system, the predictors that 
were found to be part of case-mix classification under RCS-I are those 
which our analysis associated with variation in the costs for the given 
case-mix component. The federal per diem rates discussed above serve as 
``base rates'' specifically because they set the basic average cost of 
treating a typical SNF resident. Based on the presence of certain needs 
or characteristics, caring for certain residents may cost more or less 
than that average cost. A case-mix system identifies certain aspects of 
a resident or of a resident's care which, when present, lead to average 
costs for that group being higher or lower than the average cost of 
treating a typical SNF resident. For example, if we found that therapy 
costs were the same for two residents regardless of having a particular 
condition, then that condition would not be relevant in predicting 
increases in therapy costs. If, however, we found that, holding all 
else constant, the presence of a given condition was correlated with an 
increase in therapy costs for residents with that condition over those 
without that condition, then this could mean that this condition is 
indicative, or predictive, of increased costs relative to the average 
cost of treating SNF residents generally.
    In the subsections that follow, we describe each of the four case-
mix adjusted components under the RCS-I classification model we are 
considering, and the basis for each of the predictors that would be 
used within the RCS-I model to classify residents for payment purposes. 
In the final subsection under this section of the ANPRM, we outline two 
hypothetical payment scenarios utilizing the same set of resident 
characteristics, one using the existing RUG-IV classification model and 
one using the RCS-I classification model, to demonstrate the increased 
flexibility and resident-focused approach of the RCS-I model.
b. Physical and Occupational Therapy Case-Mix Classification
    A fundamental aspect of the RCS-I case-mix classification model is 
to use resident characteristics to predict the costs of furnishing 
similarly situated residents with SNF care. Costs derived from the 
charges on claims and CCRs on facility cost reports were used as the 
measure of resource use to develop the RCS-I system. Costs better 
reflect differences in the relative resource use of residents as 
opposed to charges, which partly reflect decisions made by providers 
about how much to charge payers for certain services. Costs derived 
from charges are reflective of therapy utilization as they are 
correlated to therapy minutes recorded for each therapy discipline. 
Under the current RUG-IV case-mix model, therapy minutes for all three 
therapy disciplines (physical therapy (PT), occupational therapy (OT), 
and speech-language pathology (SLP)) are added together to determine 
the appropriate case-mix classification for the resident. However, when 
we began to investigate resident characteristics predictive of therapy 
costs for each therapy discipline, summary statistics revealed that 
there exists little correlation between PT and OT costs per day with 
SLP costs per day (correlation coefficient of 0.04). The set of 
resident characteristics from the MDS that predicted PT and OT 
utilization was different than the set of characteristics predicting 
SLP utilization. Additionally, many predictors of high PT and OT costs 
per day predicted lower SLP costs per day, and vice versa. For example, 
residents with cognitive impairments receive less physical and 
occupational therapy but receive more speech-language pathology. As a 
result of this analysis, we found that isolating predictors of total 
therapy costs per day obscured differences in the determinants of PT/OT 
and SLP utilization.
    In contrast, the correlation coefficient between PT and OT costs 
per day was high (0.62), and regression analyses found that predictors 
of high PT costs per day were also predictive of high OT costs per day. 
For example, the analyses found that late-loss ADLs are strong 
predictors of both PT and OT costs per day. Acumen then ran regression 
analyses of a range of resident characteristics on PT and OT costs per 
day separately and found that the coefficients in both models followed 
similar patterns. Finally, resident characteristics were found to be 
better predictors of the sum of PT and OT costs per day than for either 
PT or OT costs separately. These analyses used a variety of variables 
from the MDS, as well as PT, OT, and SLP costs per day. More 
information on these analyses can be found in section 3.3.1 of the SNF 
PMR technical report available at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/SNFPPS/therapyresearch.html.
    Given the results of this analytic work, we are considering 
combining PT and OT costs under a single case-mix adjusted component, 
while addressing SLP costs through a separate case-mix adjusted 
component. The next step in our analysis was to identify resident 
characteristics that were best predictive of PT/OT costs per day. To 
accomplish this, we conducted cost regressions with a host of variables 
from the MDS assessment, the prior inpatient claims, and the SNF claims 
that may have been predictive of relative increases in PT/OT costs. The 
variables were selected with the goal of being as inclusive as possible 
of the characteristics recorded on the MDS assessment, and also 
included information from the prior inpatient stay. The selection also 
incorporated clinical input. These initial costs regressions were 
exploratory and meant to identify a broad set of resident 
characteristics that are predictive of PT/OT resource utilization. The 
results were used to inform which variables should be investigated 
further and ultimately included in the payment system. A table of all 
of the variables considered as part of this analysis appears in the 
Appendix of the SNF PMR Technical Report available at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/SNFPPS/therapyresearch.html. Based on our regression analyses, we found that 
the three most relevant predictors of PT/OT costs per day were the 
clinical reasons for the SNF stay, the resident's functional status, 
and the presence of a cognitive impairment. More information on this 
analysis can be found in section 3.4.1 of the SNF PMR technical report 
available at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/SNFPPS/therapyresearch.html.
    Under the RUG-IV case-mix model, residents are first categorized 
based on being a rehabilitation resident or a non-rehabilitation 
resident, and then categorized further based on additional aspects of 
the resident's care. Under the RCS-I case-mix model, for the purposes 
of determining the resident's PT/OT group and, as will be discussed 
below, the resident's SLP group, the resident is first categorized 
based on the clinical reasons for the resident's SNF stay. Empirical 
analyses demonstrated that the clinical basis for the resident's stay

[[Page 20990]]

(that is, the primary reason the resident is in the SNF) proved a 
strong predictor of therapy costs. More detail on these analyses can be 
found in section 3.4.1 of the SNF PMR Technical Report. In consultation 
with stakeholders (industry representatives, beneficiary 
representatives, clinicians, and payment policy experts) at multiple 
technical expert panels (TEPs), we created a set of ten inpatient 
clinical categories that we believe capture the range of general 
resident types which may be found in a SNF. These clinical categories 
are provided in Table 3.

                      Table 3--Clinical Categories
------------------------------------------------------------------------
 
------------------------------------------------------------------------
Major Joint Replacement or Spinal Surgery.  Cancer.
Non-Surgical Orthopedic/Musculoskeletal...  Pulmonary.
Orthopedic Surgery (Except Major Joint)...  Cardiovascular and
                                             Coagulations.
Acute Infections..........................  Acute Neurologic.
Medical Management........................  Non-Orthopedic Surgery.
------------------------------------------------------------------------

    Once we identified these clinical categories as being generally 
predictive of resource utilization in a SNF, we then undertook the 
necessary work to identify those categories predictive of PT/OT costs 
specifically. We conducted additional regression analyses to determine 
if any of these categories predicted similar levels of PT/OT as other 
categories, which may provide a basis for combining categories together 
where similar resident costs were predicted. As a result of this 
analysis, we found that the ten inpatient clinical categories could be 
collapsed into five clinical categories, which predict varying degrees 
of PT/OT costs. Acute infections, cancer, pulmonary, cardiovascular and 
coagulations, and medical management were collapsed into one clinical 
category entitled ``Medical Management'' because their residents had 
similar PT/OT costs. Similarly, orthopedic surgery (except major joint) 
and non-surgical orthopedic/musculoskeletal were collapsed into a new 
``Other Orthopedic'' category for equivalent reasons. The remaining 
three categories (Acute Neurologic, Non-Orthopedic Surgery, and Major 
Joint Replacement or Spinal Surgery) showed distinct PT/OT cost 
profiles and were thus retained as independent categories. More 
information on this analysis can be found in section 3.4.2 of the SNF 
PMR technical report available at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/SNFPPS/therapyresearch.html. These 
collapsed categories, which would be used to categorize a resident 
initially under the PT/OT case-mix component, are presented in Table 4.

                   Table 4--PT/OT Clinical Categories
------------------------------------------------------------------------
 
-------------------------------------------------------------------------
Major Joint Replacement or Spinal Surgery.
Other Orthopedic.
Non-Orthopedic Surgery.
Acute Neurologic.
Medical Management.
------------------------------------------------------------------------

    With regard to operationalizing this categorization, we are 
considering using item I8000 on the MDS 3.0 to allow providers to 
report the resident's primary diagnosis. More specifically, the first 
line in item I8000 would be used by providers to report the ICD-10-CM 
code which represents the primary reason for the resident's SNF Part A 
stay.
    In addition to the resident's initial clinical categorization, as 
discussed previously in this section, regression analyses demonstrated 
that the resident's functional status is also predictive of PT/OT 
costs. However, the existing ADL scale used to classify residents into 
a RUG-IV group captures little variation in PT/OT costs, though this is 
unsurprising as the existing ADL scale was never intended for this 
purpose. Therefore, we found it appropriate to consider revisions to 
the ADL scale used to categorize the functional status of residents 
under the PT/OT component in a manner that is predictive of PT/OT 
costs.
    Under the RUG-IV case-mix system, a resident's ADL or functional 
score is calculated based on a combination of self-performance and 
support items coded by SNFs in Section G of the MDS 3.0 for four ADL 
areas: Transfers; eating; toileting; and bed mobility. Each ADL may be 
scored for four points, with a potential total score as high as 16 
points. Under the RCS-I case-mix model, a resident would be 
categorized, as it pertains to function, using only three of these ADL 
areas, specifically transfers, eating, and toileting. We removed bed 
mobility from this list, based on feedback we received from clinicians 
working on the research project and verified through presentation to 
stakeholders during our TEPs, that bed mobility depends partly on the 
type of bed, and therefore it is likely confounded by facility 
procedures, rather than exclusively providing information about the 
resident's function. Therefore, to help eliminate potential 
determinants of a resident's functional level which may be related to 
facility decisions on support provided to a resident regardless of 
need, we believe it would be more appropriate to focus on those ADL 
areas which are most relevant to the resident's actual capabilities and 
needs. To this end, the functional score used as part of the RCS-I 
case-mix model for purposes of categorizing residents under the PT/OT 
case-mix component would only use the self-performance items for these 
three ADL areas and ignore the support items coded for these areas. We 
believe that the self-performance items are a closer reflection of the 
resident's ability to perform a task, while the support items are more 
descriptive of the staff's practices and level of effort, which may not 
be consistent across facilities. We believe that the self-performance 
items better represent the actual needs of the resident, while the 
support items represent facility resource decisions. Therefore, we 
believe that a resident's ADL score, which would be used to categorize 
a resident under RCS-I's PT/OT case-mix component, should be based on 
only the self-performance items for the transfer, eating, and toileting 
areas in Section G of the MDS 3.0.
    In addition to these changes, we also are considering that, for 
purposes of classifying a resident under RCS-I's PT/OT case-mix 
component, each of these ADL areas would be scored for a total of 6 
points, rather than the current 4 points under the RUG-IV model, where 
the number of points increases with predicted increases in the 
resident's PT/OT costs. Using 6 points would allow us to consider the 
impact on PT/OT costs for each of the 6 possible performance levels in 
the ADL self-performance items. Under the RUG-IV model, if the SNF 
codes that the ``activity did not occur'' or ``occurred only once'', 
then these items are ignored for purposes of categorizing the resident 
for ADL purposes. However, cost regressions revealed that these two 
codes can predict lower costs for PT/OT services, which we believe is 
an important aspect of generally predicting PT/OT costs. Therefore, 
these two codes would be incorporated into the scoring for a resident's 
ADL score under the PT/OT component of the RCS-I case-mix model. In 
Table 5, we provide the scoring algorithm used for each of the three 
ADL areas and how many points would be scored for each potential 
response for each area. We determined the ADL scoring scale by first 
testing the relationship between each possible response to the three 
selected ADL items and PT/OT costs per day. This investigation revealed 
that therapy costs

[[Page 20991]]

first increase, then decrease with increasing dependence on the 
transfer and toileting items. Residents who require assistance to 
perform these ADLs tend to have higher PT/OT costs than both residents 
who are completely independent and residents who are completely 
dependent. However, costs consistently decrease with increasing 
dependence on the eating item. The points are assigned to each possible 
response to the three selected ADL items based on the observed cost 
patterns. As Table 5 shows, the points assigned to each response mirror 
the inverse U-shape of the dependence-cost curve for the transfer and 
toileting items and the monotonic decrease in costs associated with 
increasing dependence on the eating item. This produces a functional 
score that ranges from 0 to 18. As opposed to the ADL score used in 
RUG-IV, the functional score has a linear relationship with PT/OT 
costs: As the score increases, PT/OT costs per day also increase. In 
section 3.4.1 of the SNF PMR Technical report, we provide additional 
information on the analyses that led to the construction of this ADL 
score.

                                        Table 5--PT/OT ADL Scoring Scale
----------------------------------------------------------------------------------------------------------------
                   ADL self-performance score                        Transfer        Toileting        Eating
----------------------------------------------------------------------------------------------------------------
Independent.....................................................              +3              +3              +6
Supervision.....................................................              +4              +4              +5
Limited Assistance..............................................              +6              +6              +4
Extensive Assistance............................................              +5              +5              +3
Total Dependence................................................              +2              +2              +2
Activity Occurred only Once or Twice............................              +1              +1              +1
Activity did not Occur..........................................              +0              +0              +0
----------------------------------------------------------------------------------------------------------------

    The final aspect of categorizing a resident under the PT/OT 
component of the RCS-I case-mix model is related to the resident's 
cognitive status. Currently under the SNF PPS, cognitive status is used 
to classify a small portion of residents that fall into the Behavioral 
Symptoms and Cognitive Performance RUG-IV category. For all other 
residents, cognitive status is not used in determining the appropriate 
payment for a resident's care. However, industry representatives and 
clinicians at multiple TEPs suggested that a resident's cognitive 
status can have a significant impact on a resident's predicted PT/OT 
costs. This was reinforced by empirical analyses conducted by Acumen. 
Sections 3.3.1, 3.4.1, and 3.4.2 of the SNF PMR Technical report 
contains more information on these analyses (available at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/SNFPPS/therapyresearch.html). Therefore, we believe that a resident's 
cognitive status should be considered as a predictor of PT/OT costs.
    Under the RUG-IV model, cognitive status is assessed using the 
Brief Interview for Mental Status (BIMS) on the MDS 3.0. The BIMS is 
based on three items: ``Repetition of three words;'' ``temporal 
orientation;'' and ``recall.'' The sum of these numbers is the BIMS 
summary score. The BIMS score is from 0 to 15, with 0 assigned to 
residents with the worst cognitive performance and 15 assigned to 
residents with the highest performance. Residents with a BIMS score 
less than or equal to 9 classify for the Behavioral Symptoms and 
Cognitive Performance category.
    However, in approximately 15 percent of 5-day MDS assessments, a 
BIMS is not completed: In 12 percent of cases the interview is not 
attempted, and for 3 percent of cases the interview is attempted but 
cannot be completed. The MDS directs assessors to skip the BIMS if the 
resident is rarely or never understood (this is scored as ``skipped''). 
In these cases, the MDS requires assessors to complete the Staff 
Assessment for Mental Status (items C0700-C1000). The Cognitive 
Performance Scale (CPS) is used to assess cognitive function based on 
the Staff Assessment for Mental Status. The Staff Assessment for Mental 
Status consists of four items: ``Short-term Memory OK,'' ``Long-term 
Memory OK,'' ``Memory/Recall Ability,'' and ``Cognitive Skills for 
Daily Decision Making.'' However, only ``Short-term Memory OK'' and 
``Cognitive Skills for Daily Decision Making'' are currently used for 
payment. In MDS 2.0, the CPS was used as the sole measure of cognitive 
status. A resident was assigned a CPS score from 0 to 6 based on 
responses to several items on the MDS, with 0 indicating the resident 
was cognitively intact and 6 indicating the highest level of cognitive 
impairment. Any score of 3 or above was considered cognitively 
impaired. The CPS on the current version of the MDS (3.0) functions 
very similarly. Instead of assigning a score to each resident, a 
resident is determined to be cognitively impaired if he or she meets 
the criteria to receive a score of 3 or above on the CPS. Residents who 
meet this criteria are classified in the Behavioral Symptoms and 
Cognitive Performance category under RUG-IV, if they do not meet the 
criteria for a higher-paying category.
    Given that the 15 percent of residents who are not assessed on the 
BIMS must be assessed using a different scale that relies on a 
different set of MDS items, there is currently no single measure of 
cognitive status that allows comparability across all residents. To 
address this issue, Thomas et al., in a 2015 paper, proposed use of a 
new cognitive measure, the Cognitive Function Scale (CFS), which 
combines scores from the BIMS and CPS into one scale that can be used 
to compare cognitive function across all residents (Thomas KS, Dosa D, 
Wysocki A, Mor V; The Minimum Data Set 3.0 Cognitive Function Scale. 
Med Care. https://www.ncbi.nlm.nih.gov/pubmed/?term=25763665). 
Following a suggestion from the June 2016 TEP, we explored using the 
CFS as a measure of cognition, and found that there is a relationship 
between the different levels of the cognitive scale and resident costs. 
More information on this analysis can be found in section 3.4.1 of the 
SNF PMR technical report available at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/SNFPPS/therapyresearch.html. 
Therefore, we are considering using the CFS as a cognitive measure in 
the RCS-I system. The RUG-IV system also incorporates both the BIMS and 
CPS score, but the CFS blends them together into one measure of 
cognitive status. Details on how the BIMS score and CPS score are 
determined using the MDS assessment are described above. The CFS places 
residents into one of four cognitive performance categories based on 
their score on either the BIMS or CPS, as shown in Table 6.

[[Page 20992]]



                 Table 6--CFS Classification Methodology
------------------------------------------------------------------------
                                                          BIMS     CPS
                  CFS cognitive scale                    score    score
------------------------------------------------------------------------
Cognitively Intact....................................    13-15  .......
Mildly Impaired.......................................     8-12      0-2
Moderately Impaired...................................      0-7      3-4
Severely Impaired.....................................  .......      5-6
------------------------------------------------------------------------

    Once each of these variables--clinical reasons for the SNF stay, 
the resident's functional status, and the presence of a cognitive 
impairment--in predicting resident PT/OT costs was identified, we then 
used a statistical regression technique called the Classification and 
Regression Tree (CART) to determine the most appropriate splits in 
resident PT/OT case-mix groups using these three variables. In other 
words, CART was used to determine how many PT/OT case-mix groups should 
exist under the RCS-I model under consideration and what types of 
residents or score ranges should be combined to form each of those PT/
OT case-mix groups. CART is a non-parametric decision tree learning 
technique that produces either classification or regression trees, 
depending on whether the dependent variable is categorical or numeric, 
respectively. Using the CART technique to create payment groups is 
advantageous because it is both immune to outliers and resistant to 
irrelevant parameters. The CART was used to create payment groups in 
other Medicare settings. For example, it determined Case Mix Groups 
(CMGs) splits within rehabilitation impairment groups (RICs) when the 
inpatient rehabilitation facilities (IRF) PPS was developed. This 
methodology is more thoroughly explained in section 3.4.2 of the SNF 
PMR Technical Report (available at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/SNFPPS/therapyresearch.html).
    Based on the CART algorithm, we determined that 30 case-mix groups 
would be necessary to classify residents adequately in terms of their 
PT/OT costs, in a manner that captures sufficient variation in PT/OT 
costs without creating unnecessarily granular separations. In addition, 
the PT/OT case-mix groups also reflect certain administrative decisions 
made by our project team. For example, while CART may have created 
different breakpoints for the functional score in different clinical 
categories, we believed that using a consistent split in scores across 
clinical categories would improve the simplicity of the case-mix model 
without compromising its accuracy. Therefore, we used the splits 
created by the CART algorithm as the basis for the consistent splits 
selected for the case-mix groups, simplifying the CART output while 
retaining important features of the CART-generated splits. 
Characteristics such as age, which CART did not select as an important 
criterion for classifying residents, were dropped, while splits that 
recurred across clinical categories, such as dividing residents into 
cognitively intact (CFS=1,2) and cognitively impaired (CFS=3,4) were 
retained. To confirm that the consistent splits approach did not 
require a notable sacrifice in payment accuracy, we used regression 
analysis to test the ability of the CART-generated splits and the 
consistent splits to predict PT/OT costs per day. We found that using 
the consistent splits resulted in only a minor reduction in predictive 
ability (a decrease of 0.004 in the R-squared). Section 3.4.2 of the 
SNF PMR Technical Report contains more details on these analyses 
(available at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/SNFPPS/therapyresearch.html).
    We provide the criteria for each of these groups, along with the 
CMI for each group, in Table 7. As shown in the table, three factors 
are used to classify each resident for PT/OT payment: Clinical 
category, function score, and the presence of moderate or severe 
cognitive impairment. Each case-mix group corresponds to one clinical 
category, one function score range, and the presence or absence of 
moderate/severe cognitive impairment. Based on these three factors, we 
are considering classifying a resident into one of the 30 groups shown 
in Table 7.
    To help ensure that payment reflects the average relative resource 
use at the per diem level, CMIs would be set to reflect relative case-
mix related differences in costs across groups. CMIs for the PT/OT 
component would be calculated based on two factors. One factor is the 
average per diem costs of a case-mix group relative to the population 
average. Relative differences in costs due to different length of stay 
distribution across groups are removed from this calculation (as 
further discussed in the description of variable per diem payments in 
section III.D.4 of this ANPRM). The other factor is the average 
variable per diem adjustment factor of the group relative to the 
population average. In this calculation, average per diem costs equal 
total PT/OT costs in the group divided by number of utilization days in 
the group, and similarly the average variable per diem adjustment 
factor equals the sum of PT/OT variable per diem adjustment factors for 
all utilization days in the group divided by the number of utilization 
days. More information on the variable per diem adjustment factor is 
discussed in section III.D.4 of this ANPRM. This method would help 
ensure that the share of payment for each case-mix group is equal to 
its share of total costs of the component. The full methodology used to 
develop CMIs is presented in section 3.12 of the SNF PMR Technical 
Report is available at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/SNFPPS/therapyresearch.html.

                                  Table 7--PT/OT Case-Mix Classification Groups
----------------------------------------------------------------------------------------------------------------
                                                Moderate/severe cognitive
      Clinical category       Function score           impairment              Case-mix group     Case-mix index
----------------------------------------------------------------------------------------------------------------
Major Joint Replacement or             14-18  No..........................  TA                              1.82
 Spinal Surgery.
                                       14-18  Yes.........................  TB                              1.59
                                        8-13  No..........................  TC                              1.73
                                        8-13  Yes.........................  TD                              1.45
                                         0-7  No..........................  TE                              1.68
                                         0-7  Yes.........................  TF                              1.36
Other Orthopedic............           14-18  No..........................  TG                              1.70
                                       14-18  Yes.........................  TH                              1.55
                                        8-13  No..........................  TI                              1.58
                                        8-13  Yes.........................  TJ                              1.39
                                         0-7  No..........................  TK                              1.38
                                         0-7  Yes.........................  TL                              1.14

[[Page 20993]]

 
Acute Neurologic............           14-18  No..........................  TM                              1.61
                                       14-18  Yes.........................  TN                              1.48
                                        8-13  No..........................  TO                              1.52
                                        8-13  Yes.........................  TP                              1.36
                                         0-7  No..........................  TQ                              1.47
                                         0-7  Yes.........................  TR                              1.17
Non-Orthopedic Surgery......           14-18  No..........................  TS                              1.57
                                       14-18  Yes.........................  TT                              1.43
                                        8-13  No..........................  TU                              1.38
                                        8-13  Yes.........................  TV                              1.17
                                         0-7  No..........................  TW                              1.11
                                         0-7  Yes.........................  TX                              0.80
Medical Management..........           14-18  No..........................  T1                              1.55
                                       14-18  Yes.........................  T2                              1.39
                                        8-13  No..........................  T3                              1.36
                                        8-13  Yes.........................  T4                              1.17
                                         0-7  No..........................  T5                              1.10
                                         0-7  Yes.........................  T6                              0.82
----------------------------------------------------------------------------------------------------------------

    Under the RCS-I case-mix model, all residents would be classified 
into one, and only one, of these 30 PT/OT case-mix groups. As opposed 
to the RUG-IV system that determines therapy payments based only on the 
amount of therapy provided, these groups classify residents based on 
three resident characteristics shown to be predictive of PT/OT 
utilization. Thus, we believe that the PT/OT case-mix groups would 
provide a better measure of resource use and would provide for more 
appropriate payment under the SNF PPS. We invite comments on the series 
of ideas and the approach we are considering above associated with the 
PT/OT component of the RCS-I case-mix model.
c. Speech-Language Pathology Case-Mix Classification
    As discussed above, many of the resident characteristics which we 
found to be predictive of increased PT/OT costs were predictive of 
lower SLP costs. As a result of this inverse relationship, using the 
same set of predictors to case-mix adjust a single therapy component 
would obscure important differences in predicting relative differences 
in resident therapy costs and make any predictive model that attempts 
to predict total therapy cost inherently less accurate. Therefore, we 
believe it is appropriate to have a separately adjusted case-mix SLP 
component that is specifically designed to predict relative differences 
in SLP costs. As discussed in the prior section, costs derived from the 
charges on claims and CCRs on facility cost reports were used as the 
measure of resource use to develop an alternative payment system. Costs 
are reflective of therapy utilization as they are correlated to therapy 
minutes recorded for each therapy discipline.
    Following the same methodology we used to identify predictors of 
PT/OT costs, our project team conducted cost regressions with a host of 
variables from the MDS assessment, prior inpatient claims, and SNF 
claims that were identified as likely to be predictive of relative 
increases in SLP costs. The variables were selected with the goal of 
being as inclusive of the measures recorded on the MDS assessment as 
possible, and also included information from the prior inpatient stay. 
The selection also incorporated clinical input from TEP panelists, 
Acumen clinical staff, and CMS clinical staff. These initial costs 
regressions were exploratory and meant to identify a broad set of 
resident characteristics that are predictive of SLP resource 
utilization. The results were used to inform which variables should be 
investigated further and ultimately included in the payment system. A 
table of all of the variables considered in this analysis appears in 
the Appendix of the SNF PMR Technical Report. Based on these cost 
regressions, we identified a set of three categories of predictors 
relevant in predicting relative differences in SLP costs: Clinical 
reasons for the SNF stay, presence of a swallowing disorder or 
mechanically-altered diet, and the presence of an SLP-related 
comorbidity or cognitive impairment. A model using these predictors to 
predict SLP costs per day accounted for 14.5 percent of the variation 
in costs, while a very extensive model using 1,016 resident 
characteristics only predicted 19.3 percent of the variation. This 
shows that these predictors alone explain a large share of the 
variation in SLP costs per day that can be explained with resident 
characteristics. More information on this analysis can be found in 
section 3.5.1 of the SNF PMR technical report available at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/SNFPPS/therapyresearch.html.
    As with the PT/OT component, we began with the set of clinical 
categories identified in Table 3 (meant to capture general differences 
in resident resource utilization) and ran cost regressions to determine 
which categories may be predictive of generally higher relative SLP 
costs. Through this analysis, we found that one clinical group was 
particularly predictive of increased SLP cost, which was the Acute 
Neurologic group. More detail on this investigation can be found in 
section 3.5.2 of the SNF PMR Technical Report. Therefore, to determine 
the initial resident classification into an SLP group under the RCS-I, 
residents would first be categorized, using the clinical reasons for 
the resident's SNF stay recorded on the first line of Item I8000 on the 
MDS assessment, into one of two groups, either the ``Acute Neurologic'' 
clinical category, or into a Non-Neurologic group that includes the 
remaining clinical categories found in Table 3: Major Joint Replacement 
or Spinal Surgery; Non-Surgical Orthopedic/Musculoskeletal; Orthopedic 
Surgery (Except Major Joint); Acute Infections, Cancer, Pulmonary; Non-
Orthopedic Surgery; Cardiovascular and Coagulations; and Medical 
Management.

[[Page 20994]]

    In addition to the clinical reason for the SNF stay, cost 
regressions and TEP members also identified the presence of a 
swallowing disorder or a mechanically-altered diet (which refers to 
food that has been altered to make it easier for the resident to chew 
and swallow to address a specific resident need), as a predictor of 
relative increases in SLP costs. First, residents who exhibited the 
signs and symptoms of a swallowing disorder, as identified using K0100Z 
on the MDS 3.0, demonstrated significantly higher SLP costs than those 
who did not exhibit such signs and symptoms. Therefore, we considered 
including the presence of a swallowing disorder as a component in 
predicting SLP costs. However, when this information was presented 
during the October 2016 TEP, stakeholders indicated that the signs and 
symptoms of a swallowing disorder may not be as readily observed when a 
resident is on a mechanically-altered diet, and requested that we also 
consider evaluating the presence of a mechanically-altered diet, as 
determined by item K0510C2 on the MDS 3.0, as an additional predictor 
of increased SLP costs. Our project team conducted this analysis and 
found that there was an associated increase in SLP costs when a 
mechanically-altered diet was present. Moreover, this analysis revealed 
that while SLP costs may increase when either a swallowing disorder or 
mechanically-altered diet is present, resident SLP costs increased even 
more when both of these items were present. More detail on this 
investigation and these analyses can be found in section 3.5.1 of the 
SNF PMR Technical Report. As a result, we agree with the stakeholders 
that including a mechanically-altered diet would be an important 
component of predicting relative increases in resident SLP costs, and 
thus, in addition to the clinical categorization, we are considering 
classifying residents as having either a swallowing disorder, being on 
a mechanically altered diet, both, or neither for purposes of 
classifying the resident under the SLP component.
    As a final aspect of the SLP component case-mix adjustment, we 
found that the presence of a cognitive impairment or SLP-related 
comorbidity affected relative differences in SLP costs. More 
specifically, we found that the presence of certain SLP-related 
comorbidities or the presence of a mild to severe cognitive impairment 
(as defined by the CFS methodology described in Table 6 in section 
III.D.3.b. of this ANPRM) was correlated with relative increases in SLP 
costs. For each condition or service included as an SLP-related 
comorbidity, the presence of the condition or service was associated 
with at least a 43 percent increase in average SLP costs per day. The 
presence of a mild to severe cognitive impairment was associated with 
at least a 100 percent increase in average SLP costs per day. Similar 
to the analysis conducted in relation to the PT/OT component, the 
project team ran cost regressions on a broad list of possible 
conditions, with that list being available in section 3.5.1 of the SNF 
PMR Technical Report (available at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/SNFPPS/therapyresearch.html). Based on 
that analysis, and in consultation with stakeholders during our TEPs 
and clinicians, we have identified the conditions listed in Table 8 to 
be those SLP-related comorbidities which we believe would best serve to 
predict relative differences in SLP costs. Acumen used diagnosis codes 
on the most recent inpatient claim for each SNF stay and the SNF claim 
to identify these diagnoses and found that residents with these 
conditions had much higher SLP costs per day. More detail on these 
analyses can be found in section 3.5.1 of the SNF PMR Technical Report 
available at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/SNFPPS/therapyresearch.html.

                   Table 8--SLP-Related Comorbidities
------------------------------------------------------------------------
 
------------------------------------------------------------------------
Aphasia...................................  Laryngeal Cancer.
CVA, TIA, or Stroke.......................  Apraxia.
Hemiplegia or Hemiparesis.................  Dysphagia.
Traumatic Brain Injury....................  ALS.
Tracheostomy (while Resident).............  Oral Cancers.
Ventilator (while Resident)...............  Speech and Language
                                             Deficits.
------------------------------------------------------------------------

    Once each of these variables--clinical reasons for the SNF stay, 
presence of a swallowing disorder or mechanically-altered diet, and the 
presence of an SLP-related comorbidity or cognitive impairment--found 
to be useful in predicting resident SLP costs was identified, we then 
used the CART algorithm, as we discussed above in relation to the PT/OT 
component, to determine the most appropriate splits in resident SLP 
case-mix groups using these three variables. This methodology and the 
results of our analysis are more thoroughly explained in sections 3.4.2 
and 3.5.2 of the SNF PMR Technical Report. Based on the CART algorithm, 
we determined that 18 case-mix groups would be necessary to classify 
residents adequately in terms of their SLP costs, in a manner that 
captures sufficient variation in SLP costs without creating 
unnecessarily granular separations. The accuracy of this model was 
confirmed by comparing the ability of the CART model and various 
consistent split models to predict SLP costs per day. More information 
on this analysis can be found in section 3.5.2 of the SNF PMR technical 
report available at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/SNFPPS/therapyresearch.html. We provide the criteria 
for each of these groups, along with the CMI for each group, in Table 
9.
    To help ensure that payments reflect the average relative resource 
use at the per diem level, CMIs would be set to reflect case-mix 
related relative differences in costs across groups. CMIs for the SLP 
component would be calculated based on the average per diem costs of a 
case-mix group relative to the population average. Relative differences 
in costs due to different length of stay distribution across groups are 
removed from the calculation. In this calculation, average per diem 
costs equal total SLP costs in the group divided by number of 
utilization days in the group. This method would help ensure that the 
share of payment for each case-mix group is equal to its share of total 
costs of the component. The full methodology used to develop CMIs is 
presented in section 3.12 of the SNF PMR Technical Report.

                                                       Table 9--SLP Case-Mix Classification Groups
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                      Presence of swallowing disorder or  SLP-related comorbidity or mild to
         Clinical category                mechanically- altered diet          severe cognitive impairment           Case-mix group        Case-mix index
--------------------------------------------------------------------------------------------------------------------------------------------------------
Acute Neurologic...................  Both...............................  Both..............................  SA                                    4.19
                                     Both...............................  Either............................  SB                                    3.71
                                     Both...............................  Neither...........................  SC                                    3.37

[[Page 20995]]

 
                                     Either.............................  Both..............................  SD                                    3.67
                                     Either.............................  Either............................  SE                                    3.12
                                     Either.............................  Neither...........................  SF                                    2.54
                                     Neither............................  Both..............................  SG                                    2.97
                                     Neither............................  Either............................  SH                                    2.06
                                     Neither............................  Neither...........................  SI                                    1.28
Non-Neurologic.....................  Both...............................  Both..............................  SJ                                    3.21
                                     Both...............................  Either............................  SK                                    2.96
                                     Both...............................  Neither...........................  SL                                    2.63
                                     Either.............................  Both..............................  SM                                    2.62
                                     Either.............................  Either............................  SN                                    2.22
                                     Either.............................  Neither...........................  SO                                    1.70
                                     Neither............................  Both..............................  SP                                    1.91
                                     Neither............................  Either............................  SQ                                    1.38
                                     Neither............................  Neither...........................  SR                                    0.61
--------------------------------------------------------------------------------------------------------------------------------------------------------

    As with the PT/OT component, under the RCS-I case-mix model, all 
residents would be classified into one, and only one, of these 18 SLP 
case-mix groups. As opposed to the RUG-IV system that determines 
therapy payments based only on the amount of therapy provided, under 
the RCS-I case-mix model, residents are classified into SLP case-mix 
groups based on resident characteristics shown to be predictive of SLP 
utilization. Thus, we believe that the SLP case-mix groups would 
provide a better measure of resource use and would provide for more 
appropriate payment under the SNF PPS. We invite comments on the series 
of ideas and the approach we are considering above associated with the 
SLP component of the RCS-I case-mix model.
d. Nursing Case-Mix Classification
    The RUG-IV classification system first divides residents into 
``rehabilitation residents'' and ``non-rehabilitation residents'' based 
on the amount of therapy a resident receives and other aspects of a 
resident's care. For rehabilitation residents, where the primary driver 
of payment classification is the intensity of therapy services that a 
resident receives, differences in nursing needs can be obscured. For 
example, for two residents classified into the RUB RUG-IV category, 
which would occur on the basis of therapy intensity and ADL score 
alone, the nursing component for each of these residents would be 
multiplied by a CMI of 1.56. This reflects that residents in that group 
were found, during our previous STM work, to have nursing costs 56 
percent higher than residents with a 1.00 index. We would note that 
while this CMI also includes adjustments made in FY 2010 and FY 2012 
for budget-neutrality purposes, what is clear is that two residents, 
who may have significantly different nursing needs, are nevertheless 
deemed to have the very same nursing costs, and SNFs would receive the 
same nursing payment for each. Given the discussion above, which noted 
that approximately 60 percent of resident days are billed using one of 
three Ultra-High Rehabilitation RUGs (two of which have the same 
nursing index), the current case-mix model effectively classifies a 
significant portion of SNF therapy residents as having exactly the same 
degree of nursing needs and requiring exactly the same amount of 
nursing resources. As such, we believe that further refinement of the 
case-mix model would be appropriate to better differentiate among 
patients with different nursing needs.
    An additional concern in the RUG-IV system is the use of therapy 
minutes to determine not only therapy payments, but also nursing 
payments. For example, residents classified into the RUB RUG fall in 
the same ADL score range as residents classified into the RVB RUG. The 
only difference between those residents is the number of therapy 
minutes that they received. However, the difference in payment that 
results from this difference in therapy minutes impacts not only the 
RUG-IV therapy component, but also the nursing component: Nursing 
payments for RUB residents are 40 percent higher than nursing payments 
for RVB residents. As a result of this feature of the RUG-IV system, 
the amount of therapy minutes provided to a resident is one of the main 
sources of variation in nursing payments, at the expense of other 
resident characteristics that may better reflect nursing needs.
    We believe that the more nuanced and resident-centered 
classifications in current RUG-IV non-rehabilitation categories are 
obscured under the current payment system, which utilizes only a single 
RUG-IV category for payment purposes and which has over 90 percent of 
resident days billed using a rehabilitation RUG. The RUG-IV non-
rehabilitation groups classify residents based on their ADL score, the 
use of extensive services, the presence of specific clinical conditions 
such as depression, pneumonia or septicemia, and the use of restorative 
nursing services, among other characteristics. These characteristics 
are associated with nursing utilization, and the STRIVE study accounted 
for relative differences in nursing staff time across groups. 
Therefore, we are considering continuing to use the existing non-
rehabilitation RUGs for the purposes of resident classification under 
RCS-I, but also modify nursing payment so that a resident's non-
rehabilitation RUG classification is always a factor in a resident's 
payment calculation.
    For example, consider two residents. The first classifies into the 
RUB rehabilitation RUG (on the basis of the resident's therapy minutes) 
and into the CC1 non-rehabilitation RUG (on the basis of having 
Pneumonia), while the second classifies into the RUB rehabilitation RUG 
(on the basis of the resident's therapy minutes) and the HC1 non-
rehabilitation RUG (on the basis of the resident being a Quadriplegic 
with a high ADL score). Under the current RUG-IV based payment model, 
the billing for both residents would utilize only the RUB 
rehabilitation RUG, despite clear differences in their associated 
nursing needs and resident characteristics. We are considering an

[[Page 20996]]

approach where, under the RCS-I payment model, for purposes of 
determining payment under the nursing component, the first resident 
would be classified into CC1, while the second would be classified into 
HC1. We believe that classifying the residents in this manner for 
payment purposes would capture variation in nursing costs in a more 
accurate and granular way than relying on the rehabilitation RUG's 
nursing CMI.
    In addition to considering the use of the resident's non-
rehabilitation RUG-IV classification for purposes of RCS-I payments, we 
also are considering the possibility of revising the existing nursing 
CMIs and updating these indexes through use of the STRIVE STM data 
which were originally used to create these indexes. Under the current 
payment system, non-rehabilitation nursing indexes were calculated to 
capture variation in nursing utilization by using only the staff time 
collected for the non-rehabilitation population. We believe that, to 
provide a more accurate sense of the relative nursing resource needs of 
the SNF population, the nursing indexes should reflect nursing 
utilization for all residents. To accomplish this, Acumen first 
replicated the methodology described in the FY 2010 SNF PPS rule (74 FR 
22236 through 22238), but classified the full STRIVE study population 
under non-rehabilitation RUGs using updated wage data. That methodology 
proceeded according to the following steps:
    (1) Calculate average wage-weighted staff time (WWST) for each 
STRIVE study resident using FY 2015 SNF wages.
    (2) Assign the full STRIVE population to the appropriate non-
rehabilitation RUG.
    (3) Apply sample weights to WWST estimates to allow for unbiased 
population estimates. The reason for this weighting is that the STRIVE 
study was not a random sample of residents. Certain key subpopulations, 
such as residents with HIV/AIDS, were over-sampled to ensure that there 
were enough residents to draw conclusions on the subpopulations' 
resource use. As a result, STRIVE researchers also developed sample 
weights, equal to the inverse of each resident's probability of 
selection, to permit calculation of unbiased population estimates. 
Applying the sample weights to a summary statistic results in an 
estimate that is representative of the actual population. The sample 
weight method is explained in Phase I of the STRIVE study. A link to 
the STRIVE study is available at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/SNFPPS/TimeStudy.html.
    (4) Smooth WWST estimates that do not match RUG hierarchy, as was 
done during the STRIVE study. RUG-IV, from which the nursing RUGs are 
derived, is a hierarchical classification in which payment should track 
clinical acuity. It is intended that residents who are more clinically 
complex or who have other indicators of acuity, including a higher ADL 
score, depression, or restorative nursing services, would receive 
higher payment. When STRIVE researchers estimated WWST for each RUG, 
several inversions occurred because of imprecision in the means. These 
are defined as WWST estimates that are not in line with clinical 
expectations. The methodology used to smooth WWST estimates is 
explained in Phase II of the STRIVE study. A link to the STRIVE study 
is available at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/SNFPPS/TimeStudy.html.
    (5) Calculate nursing indexes, which reflect the average WWST for 
each non-rehabilitation RUG divided by the average WWST for the study 
population used throughout our research. This analysis is presented in 
section 3.6.6 of the SNF PMR Technical Report.
    Through this refinement, we believe the nursing indexes under the 
RCS-I classification model would better reflect the varied nursing 
resource needs of the full SNF population. In Table 10, we provide the 
nursing indexes under the RCS-I classification model.
    To help ensure that payment reflects the average relative resource 
use at per diem level, nursing CMIs would be set to reflect case-mix 
related relative differences in WWST across groups. Nursing CMIs would 
be calculated based on the average per diem nursing WWST of a case-mix 
group relative to the population average. In this calculation, average 
per diem WWST equals total WWST in the group divided by number of 
utilization days in the group. The full methodology used to develop 
CMIs is presented in section 3.12 of the SNF PMR Technical Report.

       Table 10--Nursing Indexes Under RCS-I Classification Model
------------------------------------------------------------------------
                                                     Current
                                                     nursing    Nursing
                  RUG-IV category                    case-mix   case-mix
                                                      index      index
------------------------------------------------------------------------
ES3...............................................       3.58       3.84
ES2...............................................       2.67       2.90
ES1...............................................       2.32       2.77
HE2...............................................       2.22       2.27
HE1...............................................       1.74       2.02
HD2...............................................       2.04       2.08
HD1...............................................       1.60       1.86
HC2...............................................       1.89       2.06
HC1...............................................       1.48       1.84
HB2...............................................       1.86       1.88
HB1...............................................       1.46       1.67
LE2...............................................       1.96       1.88
LE1...............................................       1.54       1.68
LD2...............................................       1.86       1.84
LD1...............................................       1.46       1.64
LC2...............................................       1.56       1.55
LC1...............................................       1.22       1.39
LB2...............................................       1.45       1.48
LB1...............................................       1.14       1.32
CE2...............................................       1.68       1.84
CE1...............................................       1.50       1.60
CD2...............................................       1.56       1.74
CD1...............................................       1.38       1.51
CC2...............................................       1.29       1.49
CC1...............................................       1.15       1.30
CB2...............................................       1.15       1.37
CB1...............................................       1.02       1.19
CA2...............................................       0.88       1.03
CA1...............................................       0.78       0.89
BB2...............................................       0.97       1.05
BB1...............................................       0.90       0.97
BA2...............................................       0.70       0.74
BA1...............................................       0.64       0.68
PE2...............................................       1.50       1.60
PE1...............................................       1.40       1.47
PD2...............................................       1.38       1.48
PD1...............................................       1.28       1.36
PC2...............................................       1.10       1.23
PC1...............................................       1.02       1.13
PB2...............................................       0.84       0.98
PB1...............................................       0.78       0.90
PA2...............................................       0.59       0.68
PA1...............................................       0.54       0.63
------------------------------------------------------------------------

As with the previously discussed components, under the RCS-I case-mix 
model, all residents would be classified into one, and only one, of 
these 43 nursing case-mix groups.
    We also used the STRIVE data to quantify the effects of HIV/AIDS 
diagnosis on nursing resource use. Acumen controlled for case mix by 
including the RCS-I resident groups (in this case, the nursing RUGs) as 
independent variables. The results show that even after controlling for 
nursing RUG, HIV/AIDS status is associated with a positive and 
significant increase in nursing utilization. Based on the results of 
regression analyses, we found that wage-weighted nursing staff time is 
19 percent higher for residents with HIV/AIDS. (The weighting adjusted 
this estimate to account for the deliberate over-sampling of certain 
sub-populations in the STRIVE study, as described above.) Based on 
these findings, we concluded that the RCS-I nursing groups may not 
completely

[[Page 20997]]

capture the additional nursing costs associated with HIV/AIDS 
residents. More information on this analysis can be found in section 
3.8.2 of the SNF PMR technical report available at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/SNFPPS/therapyresearch.html. 
Thus, as part of the case-mix adjustment of the nursing component, we 
are considering a 19 percent increase in payment for the nursing 
component for residents with HIV/AIDS. This adjustment would be applied 
based on the presence of ICD-10-CM code B20 on the SNF claim.
    We invite comments on the series of ideas and the approach we are 
considering above associated with the nursing component of the RCS-I 
case-mix model.
e. Non-Therapy Ancillary Case-Mix Classification
    Currently under the SNF PPS, payments for NTA costs incurred by 
SNFs are incorporated into the nursing component, which means that the 
CMIs used to adjust the nursing component of the SNF PPS are intended 
to reflect not only differences in nursing resource use, but also NTA 
costs. However, there have been concerns that the current nursing CMIs 
do not accurately reflect the basis for or the magnitude of relative 
differences in resident NTA costs. In its March 2016 Report to 
Congress, MedPAC wrote that ``Almost since its inception, the SNF PPS 
has been criticized for encouraging the provision of unnecessary 
rehabilitation therapy services and not accurately targeting payments 
for nontherapy ancillary (NTA) services such as drugs (Government 
Accountability Office 2002, Government Accountability Office 1999, 
White et al. 2002).'' (available at http://medpac.gov/docs/default-source/reports/chapter-7-skilled-nursing-facility-services-march-2016-report-.pdf). While the PT/OT and SLP components were designed to 
address the first criticism raised by MedPAC above, the NTA component 
discussed in this section was designed to address the second 
criticism--specifically, that the current manner of case-mix adjusting 
for NTAs under the RUG-IV case-mix system is inadequate in adjusting, 
in a targeted manner, for relative differences in resident NTA costs. 
As noted in the quotation from MedPAC above, MedPAC is not the only 
group to offer this critique of the SNF PPS. Just as the aforementioned 
criticisms that MedPAC cited have existed almost since the inception of 
the SNF PPS itself, ideas for addressing this concern have a similarly 
long history.
    In response to comments on the 1998 interim final rule which served 
to establish the SNF PPS, we published a final rule on July 30, 1999 
(64 FR 41644). In this final rule, we acknowledged the commenters' 
concerns about the new system's ability to account accurately for NTA 
costs, such as the following:

    There were a number of comments expressing concern with the 
adequacy of the PPS rates to cover the costs of ancillary services 
other than occupational, physical, and speech therapy (non-therapy 
ancillaries), including such things as drugs, laboratory services, 
respiratory therapy, and medical supplies. Prescription drugs or 
medication therapy were frequently noted areas of concern due to 
their potentially high cost for particular residents. Some 
commenters suggested that the RUG-III case-mix classification 
methodology does not adequately provide for payments that account 
for the variation in, or the real costs of, these services provided 
to their residents. (64 FR 41647)

    In response to those comments, we stated that ``we are funding 
substantial research to examine the potential for refinements to the 
case-mix methodology, including an examination of medication therapy, 
medically complex patients, and other nontherapy ancillary services.'' 
(64 FR 41648). Since that time, we have discussed various research 
initiatives engaged in identifying a more appropriate means to case-mix 
adjust SNF PPS payments to reflect relative differences in resident NTA 
costs. In this ANPRM, we are considering such a methodology, which we 
believe would case-mix adjust SNF PPS payments more appropriately to 
reflect differences in NTA costs.
    Following the same methodology we used for the PT/OT and SLP 
components, the project team ran cost regression models to determine 
which resident characteristics may be predictive of relative increases 
in NTA costs. The three cost-related resident characteristics 
identified through this analysis were resident comorbidities, the use 
of extensive services (services provided to residents that are 
particularly expensive and/or invasive), and resident age. A simple 
resident classification generated by CART using these three 
characteristics alone explained 11.7 percent of the variation in NTA 
costs per day. We would note that while we did find a correlation 
between relative differences in NTA costs and resident age, we also 
found that the correlation between NTA costs and resident comorbidities 
and extensive services was much stronger and heard concerns from TEP 
panelists during the June 2016 TEP, which led us to remove age from 
further consideration as part of the NTA component. Particularly, some 
panelists expressed concern that including age as a determinant of NTA 
payment could create access issues for the older population.
    With regard to capturing comorbidity information, the project team 
first mapped ICD-10 diagnosis codes from the prior inpatient claim, SNF 
claim, and Section I of the 5-day MDS assessment to condition 
categories (CCs), which provide a broader sense of the impact of 
similar conditions on NTA costs. The full list of conditions and 
extensive services considered for inclusion in the NTA component 
appears in the Appendix of the SNF PMR Technical Report available at 
https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/SNFPPS/therapyresearch.html. This list was meant to encompass as many 
conditions and extensive services as possible from the MDS assessment 
and the CCs. We found, using cost regressions, that certain comorbidity 
conditions and extensive services were highly predictive of relative 
differences in resident NTA costs. These conditions and services are 
identified in Table 11. More information on this analysis can be found 
in section 3.7.1 of the SNF PMR technical report available at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/SNFPPS/therapyresearch.html. We would note that, based on our analysis and 
feedback from stakeholders at the June 2016 TEP, certain services which 
showed increased NTA costs were eliminated from consideration based on 
potential adverse incentives which may be created by linking these 
services to payment. Oxygen therapy and BiPAP/CPAP were excluded from 
consideration. Clinicians associated with the project team noted that 
these services are easily delivered and prone to overutilization. 
Additionally, the costs for these treatments for respiratory conditions 
are likely captured by the increase in costs associated with MDS item 
I6200 (asthma, COPD, or chronic lung disease). Finally, three CCs are 
excluded due to concerns about coding reliability: 33 (inflammatory 
bowel disease), 57 (personality disorders), and 66 (attention deficit 
disorder).
    Having identified the list of relevant conditions and services for 
adjusting NTA payments, we considered different options for how to 
capture the variation in NTA costs explained by these identified 
conditions and services. One such method would be merely to count the 
number of comorbidities and services a resident receives and assign a 
score to that resident based on this

[[Page 20998]]

simple count. We found that this option did account for the additive 
effect of having multiple comorbidities and extensive services, but did 
not adequately reflect the relative differences in the impact of 
certain higher-cost conditions and services. We also considered a tier 
system similar to the one used in the IRF PPS, where SNF residents 
would be placed into payment tiers based on the costliest comorbidity 
or extensive service. However, we found that this option did not 
account for the additive effect noted above. To address both of these 
issues, we are considering the possibility of basing a resident's NTA 
score (which would be used to classify the resident into an NTA case-
mix classification group) on a weighted-count methodology. 
Specifically, as shown in Table 11, each of the comorbidities and 
services which factor into a resident's NTA classification is assigned 
a certain number of points based on its relative impact on a resident's 
NTA costs. Those conditions and services with a greater impact on NTA 
costs are assigned more points, while those with less of an impact are 
assigned fewer points. Points are assigned by grouping together 
conditions and extensive services with similar ordinary least squares 
(OLS) regression estimates. The regression used the selected conditions 
and extensive services to predict NTA costs per day. More information 
on this methodology and analysis can be found in section 3.7.1 of the 
SNF PMR technical report available at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/SNFPPS/therapyresearch.html. The 
effect of this methodology is that the NTA component would adequately 
reflect relative differences in NTA costs of each condition or service, 
as well as the additive effect of having multiple comorbidities.
    A resident's total comorbidity/extensive services score, which 
would be the sum of the points associated with all of a resident's 
comorbidities and services, would be used to classify the resident into 
an NTA case-mix group. For conditions and services where the source is 
indicated as MDS item I8000, we would consider providing a crosswalk 
between the listed condition and the ICD-10-CM codes which may be coded 
to qualify that condition to serve as part of the resident's NTA 
classification. MDS item I8000 is an open-ended item in the MDS 
assessment where the assessment provider can fill in additional active 
diagnoses (in the form of ICD-10 codes) for the resident that are not 
explicitly on the MDS. In the case of Parenteral/IV Feeding, we are 
considering the possibility of separating this item into a high 
intensity item and a low intensity item, similar to how it is defined 
in the RUG-IV system. For a resident to qualify for the high intensity 
category, the percent of calories taken in by the resident by 
parenteral or tube feeding, as reported in item K0710A2 on the MDS 3.0, 
must be greater than 50 percent. To qualify for the low intensity 
category, the percent of calories taken in by the resident by 
parenteral or tube feeding, as reported in item K0710A2 on the MDS 3.0, 
must be greater than 25 percent but less than or equal to 50 percent, 
and the resident must receive an average fluid intake by IV or tube 
feeding of at least 501cc per day, as reported in item K0710B2 of the 
MDS 3.0. The criteria used to distinguish between high and low 
intensity parenteral or tube feeding is the same as is used to classify 
residents using this variable in the RUG-IV classification. We also 
want to note that the source of the HIV/AIDS score is listed as coming 
from the SNF claim. This is because certain states, comprising 16 in 
all, have state laws which prevent the reporting of HIV/AIDS diagnosis 
information to us through the current assessment system and/or prevent 
us from seeing such diagnosis information within that system, should 
that information be mistakenly reported. The states are Alabama, 
Alaska, California, Colorado, Connecticut, Idaho, Illinois, 
Massachusetts, Nevada, New Hampshire, New Jersey, New Mexico, South 
Carolina, Texas, Washington, and West Virginia.
    Given this restriction, it would not be possible to have SNFs 
utilize the MDS 3.0 as the vehicle to report HIV/AIDS diagnosis 
information for purposes of determining a resident's NTA 
classification. We note that, currently, we use a claims reporting 
mechanism as the basis for the temporary AIDS add-on payment which 
exists under the current SNF PPS. To address the issue discussed above 
with respect to reporting of HIV/AIDS diagnosis information under the 
RCS-I model, we are considering utilizing this existing claims 
reporting mechanism to determine a resident's HIV/AIDS score for 
purposes of NTA classification. More specifically, HIV/AIDS diagnosis 
information reported on the MDS would be ignored by the GROUPER 
software used to classify a resident into an NTA case-mix group. 
Instead, providers would be instructed to report to us on the 
associated SNF claims the HIPPS code provided to the SNF on the 
validation report associated with that assessment. The provider would 
then, following current protocol, enter ICD-10-CM code B20 on the 
associated SNF claim, as if it were being coded to receive payment 
through the current AIDS add-on payment. The PRICER software, which we 
use to determine the appropriate per diem payment for a provider based 
on their wage index and other factors, would make the adjustment to the 
resident's NTA case-mix group, based on the presence of the B20 code on 
the claim, and adjust the associated per diem payment based on the 
adjusted resident HIPPS code. Again, we would note that this 
methodology follows the same logic as the SNF PPS currently uses to pay 
the temporary AIDS add-on adjustment, but merely changes the target and 
type of adjustment from the SNF PPS per diem to the NTA component of 
the RCS-I case-mix model. The difference is that while under the 
current system, the presence of the B20 code would lead to a 128 
percent increase in the per diem rate, under RCS-I, the presence of the 
B20 code would mean the addition of 8 points (as determined by the OLS 
regression described above) to the resident's NTA score and categorize 
the resident into the appropriate NTA group, as well as an adjustment 
to the nursing component, as described in section III.D.3.d. of this 
ANPRM.
    Table 11 provides the list of conditions and extensive services 
that would be used for NTA classification, the source of that 
information, the tier into which each item falls, and the associated 
number of points for that condition. The tier for each comorbidity 
condition and extensive service is determined based on the number of 
points assigned to that condition. For example, all comorbidities 
assigned 2 points are in the ``medium'' tier. The tiers are only used 
as a mechanism to simplify understanding of the points for each 
condition or extensive service. Only the points are factored into the 
determination of the comorbidity score and ultimately the NTA resident 
group classification.

[[Page 20999]]



                     Table 11--Conditions and Extensive Services Used for NTA Classification
----------------------------------------------------------------------------------------------------------------
    Condition/extensive service               Source                        NTA tier                  Points
----------------------------------------------------------------------------------------------------------------
HIV/AIDS..........................  SNF Claim................  Ultra-High.......................              +8
Parenteral/IV Feeding--High         MDS Item K0510A2.........  Very-High........................              +7
 Intensity.
IV Medication.....................  MDS Item O0100H2.........  High.............................              +5
Parenteral/IV Feeding--Low          MDS Item K0710A2, K0710B2  High.............................              +5
 Intensity.
Ventilator/Respirator.............  MDS Item O0100F2.........  High.............................              +5
Transfusion.......................  MDS Item O0100I2.........  Medium...........................              +2
Kidney Transplant Status..........  MDS Item I8000...........  Medium...........................              +2
Opportunistic Infections..........  MDS Item I8000...........  Medium...........................              +2
Infection with multi-resistant      MDS Item I1700...........  Medium...........................              +2
 organisms.
Cystic Fibrosis...................  MDS Item I8000...........  Medium...........................              +2
Multiple Sclerosis (MS)...........  MDS Item I5200...........  Medium...........................              +2
Major Organ Transplant Status.....  MDS Item I8000...........  Medium...........................              +2
Tracheostomy......................  MDS Item O0100E2.........  Medium...........................              +2
Asthma, COPD, or Chronic Lung       MDS Item I6200...........  Medium...........................              +2
 Disease.
Chemotherapy......................  MDS Item O0100A2.........  Medium...........................              +2
Diabetes Mellitus (DM)............  MDS Item I2900...........  Medium...........................              +2
End-Stage Liver Disease...........  MDS Item I8000...........  Low..............................              +1
Wound Infection (other than foot).  MDS Item I2500...........  Low..............................              +1
Transplant........................  MDS Item I8000...........  Low..............................              +1
Infection Isolation...............  MDS Item O0100M2.........  Low..............................              +1
MRSA..............................  MDS Item I8000...........  Low..............................              +1
Radiation.........................  MDS Item O0100B2.........  Low..............................              +1
Diabetic Foot Ulcer...............  MDS Item M1040B..........  Low..............................              +1
Bone/Joint/Muscle Infections/       MDS Item I8000...........  Low..............................              +1
 Necrosis.
Highest Ulcer Stage is Stage 4....  MDS Item M300D1..........  Low..............................              +1
Osteomyelitis and Endocarditis....  MDS Item I8000...........  Low..............................              +1
Suctioning........................  MDS Item O0100D2.........  Low..............................              +1
DVT/Pulmonary Embolism............  MDS Item I8000...........  Low..............................              +1
----------------------------------------------------------------------------------------------------------------

    Given the NTA scoring methodology described above, and following 
the same methodology used for the PT/OT and SLP components, we then 
used the CART algorithm to determine the most appropriate splits in 
resident NTA case-mix groups. This methodology is more thoroughly 
explained in section 3.4.2 of the SNF PMR Technical Report available at 
https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/SNFPPS/therapyresearch.html. Based on the CART algorithm, we determined that 6 
case-mix groups would be necessary to classify residents adequately in 
terms of their NTA costs in a manner that captures sufficient variation 
in NTA costs without creating unnecessarily granular separations. More 
information on this analysis can be found in section 3.7.2 of the SNF 
PMR technical report available at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/SNFPPS/therapyresearch.html. We 
provide the criteria for each of these groups, along with the CMI for 
each group, in Table 12.
    To help ensure that payment reflects the relative resource use at 
the per diem level, CMIs would be set to reflect case-mix related 
relative differences in costs across groups. CMIs for the NTA component 
would be calculated based on two factors. One factor is the average per 
diem costs of a case-mix group relative to the population average. 
Relative differences in costs due to different length of stay 
distribution across groups are removed from this calculation. The other 
factor is the average variable per diem adjustment factor of the group 
relative to the population average. In this calculation, average per 
diem costs equal total NTA costs in the group divided by number of 
utilization days in the group, and similarly the average variable per 
diem adjustment factor equals the sum of NTA variable per diem 
adjustment factors for all utilization days in the group divided by the 
number of utilization days. More information on the variable per diem 
adjustments factor is discussed in section III.D.4 of this ANPRM. This 
method would help ensure that the share of payment for each case-mix 
group is equal to its share of total costs of the component, which is 
consistent with the notion that per diem payments reflect differences 
in average per diem relative resource use. The full methodology used to 
develop CMIs is presented in section 3.12 of the SNF PMR Technical 
Report.

              Table 12--NTA Case-Mix Classification Groups
------------------------------------------------------------------------
                                                               NTA case-
             NTA score range                   NTA group       mix index
------------------------------------------------------------------------
11+.....................................  NA                        3.33
8-10....................................  NB                        2.59
6-7.....................................  NC                        2.02
3-5.....................................  ND                        1.52
1-2.....................................  NE                        1.16
0.......................................  NF                        0.83
------------------------------------------------------------------------

As with the previously discussed components, under the RCS-I case-mix 
model, all residents would be classified into one, and only one, of 
these 6 NTA case-mix groups. The RCS-I case-mix model creates a 
separate payment component for NTA services, as opposed to combining 
NTA and nursing into one component as in the RUG-IV system. This 
separation allows payment for NTA services to be based on resident 
characteristics that predict NTA resource utilization, rather than 
nursing staff time. Thus, we believe that the NTA case-mix groups would 
provide a better measure of resource utilization and would lead to more 
accurate payments under the SNF PPS.
    We invite comments on the series of ideas and the approach we are 
considering above associated with the NTA component of the RCS-I case-
mix model.

[[Page 21000]]

f. Payment Classifications Under RCS-I
    The current SNF PPS case-mix classification system, RUG-IV, 
classifies each resident into a single RUG, with a single payment for 
all services. By contrast, the RCS-I case-mix classification system 
would classify each resident into four components (PT/OT; SLP; NTA; and 
nursing) and provide a single payment based on these classifications. 
The payment for each component would be calculated by multiplying the 
CMI for the resident's group by the component federal base payment 
rate, and then by the specific day in the variable per diem adjustment 
schedule (as discussed in section III.B.4. of this ANPRM). 
Additionally, for residents with HIV/AIDS indicated on their claim, the 
nursing portion of payment would be multiplied by 1.19 (as discussed in 
section III.B.3.d of this ANPRM). These payments would then be added 
together, along with the non-case-mix component payment rate, to create 
a resident's total SNF PPS per diem rate under RCS-I. This section 
describes how two hypothetical residents would be classified into 
payment groups under the current payment system and the RCS-I model we 
are considering. To begin, consider two residents, Resident A and 
Resident B, with the resident characteristics identified in Table 13.

                                 Table 13--Hypothetical Resident Characteristics
----------------------------------------------------------------------------------------------------------------
      Resident characteristics                Resident A                            Resident B
----------------------------------------------------------------------------------------------------------------
Rehabilitation Received?...........  Yes........................  Yes.
Therapy Minutes....................  730........................  730.
Extensive Services.................  No.........................  No.
ADL Score..........................  9..........................  9.
Clinical Category..................  Acute Neurologic...........  Major Joint Replacement.
Functional Score...................  15.........................  15.
Cognitive Impairment...............  Moderate...................  Intact.
Swallowing Disorder?...............  No.........................  No.
Mechanically Altered Diet?.........  Yes........................  No.
SLP Comorbidity?...................  No.........................  No.
Comorbidity Score..................  7 (IV Medication and DM)...  1 (DVT).
Other Conditions...................  Dialysis...................  Septicemia.
Depression?........................  No.........................  Yes.
----------------------------------------------------------------------------------------------------------------

    Currently under the SNF PPS, Resident A and Resident B would be 
classified into the same RUG-IV group. They both received 
rehabilitation, did not receive extensive services, received 730 
minutes of therapy, and have an ADL score of 9. This places the two 
residents into the ``RUB'' RUG-IV group and SNFs would be paid at the 
same rate, despite the many differences between these two residents in 
terms of their characteristics, expected care needs, and predicted 
costs of care.
    Under the RCS-I case-mix model, however, these two residents would 
be classified very differently. With regard to the PT/OT component, 
Resident A would fall into group TN, as a result of his categorization 
in the Acute Neurologic group, functional score within the 14 to 18 
range, and the presence of a moderate to severe cognitive impairment. 
Resident B, however, would fall into group TA for the PT/OT component, 
as a result of his categorization in the Major Joint Replacement group, 
a functional score within the 14 to 18 range, and the absence of any 
moderate or severe cognitive impairment. For the SLP component, 
Resident A would be classified into group SE., based on his 
categorization in the Acute Neurologic group, the presence of 
Mechanically-Altered Diet and presence of moderate cognitive 
impairment, while Resident B would be classified into group SR, based 
on his categorization in the Non-Neurologic group, the lack of any 
swallowing disorder or mechanically-altered diet, and absence of any 
SLP-related comorbidity or cognitive impairment. For the Nursing 
component, following the existing nursing case-mix methodology, 
Resident A would fall into group LC1, based on his use of dialysis 
services and an ADL score of 9, while Resident B would fall into group 
HC2, due to the diagnosis of septicemia, presence of depression, and 
ADL score of 9. Finally, with regard to NTA classification, Resident A 
would be classified in group NC, with an NTA score of 7, while Resident 
B would be classified in group NE., with an NTA score of 1. This 
demonstrates that, under the RCS-I case-mix model, more aspects of a 
resident's unique characteristics and needs factor into determining the 
resident's payment classification, which makes for a more resident-
centered case-mix model while also eliminating, or greatly reducing, 
the number of service-based factors which are used to determine the 
resident's payment classification. Because the RCS-I system would be 
based on specific resident characteristics predictive of resource 
utilization for each component, we expect that payments would be better 
aligned with resident need.
4. Variable Per Diem Adjustment Factors and Payment Schedule
    Section 1888(e)(4)(G)(i) of the Act provides that payments must be 
adjusted for case mix, based on a resident classification system which 
accounts for the relative resource utilization of different types of 
residents. Additionally, section 1888(e)(1)(B) of the Act specifies 
that payments to SNFs through the SNF PPS must be made on a per-diem 
basis. Currently under the SNF PPS, each RUG is paid at a constant per 
diem rate, regardless of how many days a resident is classified in that 
particular RUG. However, during the course of the SNF PMR project, 
analyses on cost over the stay for each of the case-mix adjusted 
components revealed different trends in resource utilization over the 
course of the SNF stay. These analyses utilized costs derived from 
claim charges as a measure of resource utilization. Costs were derived 
by multiplying charges from claims by the CCRs on facility-level costs 
reports. As described in section III.B.3.b of this ANPRM, costs better 
reflect differences in the relative resource use of residents as 
opposed to charges, which partly reflect decisions made by providers 
about how much to charge payers for certain services. In examining 
costs over a stay, we found that for certain categories of SNF 
services, notably therapy and NTA services, costs declined over the 
course

[[Page 21001]]

of a stay. Based on the claim submission schedule and variation in the 
point during the month when a stay began, we were able to estimate 
resource use for a specific day in a stay. Facilities are required to 
submit monthly claims. Each claim covers the period from the first day 
during the month a resident is in the facility to the end of the month. 
If a resident was admitted on the first day of the month and remains in 
the facility (and continues to have Part A SNF coverage) until the end 
of the month, the claim for that month will include all days in the 
month. However, if a resident is admitted after the first day of the 
month, the first claim associated with the resident's stay will be 
shorter than a month. To estimate resource utilization for each day in 
the stay, we used the marginal estimated cost from claims of varying 
length based on random variation in the day of a month when a stay 
began. To supplement this analysis, we also looked at changes in the 
number of therapy minutes reported in different assessments throughout 
the stay. Because therapy minutes are recorded on the MDS, the presence 
of multiple assessments throughout the stay provided information on 
changes in resource use. For example, it was clear whether the number 
of therapy minutes a resident received changed from the 5-day 
assessment to the 14-day assessment. The results from this analysis 
were consistent with the cost from claims analysis, and showed that on 
average, the number of therapy minutes is lower for assessments 
conducted later in the stay. This finding is consistent across 
different lengths of stay. More information on these analyses can be 
found in section 3.9.1 of the SNF PMR technical report is available at 
https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/SNFPPS/therapyresearch.html.
    Analyses of the SLP component revealed that the per diem costs 
remain relatively constant over time, while the PT/OT and NTA component 
cost analyses indicate that the per diem cost for these two components 
decline over the course of the stay. More specifically, in the case of 
the PT/OT component, costs start higher in the beginning of the stay 
and decline slowly over the course of the stay. The NTA component cost 
analyses indicate significantly increased NTA costs at the beginning of 
a stay, consistent with how most SNF drug costs are typically incurred 
at the outset of a SNF stay, and then drop to a much lower level that 
holds relatively constant over the remainder of the SNF stay. This 
indicates that resource utilization for PT/OT and NTA services change 
over the course of the stay. More information on these analyses can be 
found in section 3.9.1 of the SNF PMR technical report available at 
https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/SNFPPS/therapyresearch.html. We were unable to assess potential changes in the 
level of nursing costs over a resident's stay, in particular because 
nursing charges are not separately identifiable in SNF claims, and 
nursing minutes are not reported on the MDS assessments. However, 
stakeholders (industry representatives and clinicians) at multiple TEPs 
indicated that nursing costs tend to remain relatively constant over 
the course of a resident's stay.
    Constant per diem rates, by definition, do not track variations in 
resource use throughout a SNF stay, and we believe may allocate too few 
resources for SNF providers at the beginning of a stay. Given the 
trends in resource utilization discussed above, and that section 
1888(e)(4)(G)(i) of the Act requires the case-mix classification system 
to account for relative resource use, we are considering adjustments to 
the PT/OT and NTA components in the RCS-I model under consideration to 
account for the effect of length of stay on per diem costs (the 
variable per diem adjustments). We are not considering such adjustments 
to the SLP and nursing components based on findings and stakeholder 
feedback, as discussed above, that resource use tends to remain 
relatively constant over the course of a SNF stay.
    As noted above and as discussed more thoroughly in section 3.9.4 of 
the SNF PMR Technical Report (available at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/SNFPPS/therapyresearch.html), 
PT/OT costs decline at a slower rate relative to the decline in NTA 
costs. Therefore, in addition to considering a variable per diem 
adjustment, we further are considering to have separate adjustment 
schedules and indexes for the PT/OT component and the NTA component to 
more closely reflect the rate of decline in resource utilization for 
each component. Table 14 provides the adjustment factors and schedule 
we are considering for the PT/OT component, while Table 15 provides the 
adjustment factors and schedule we are considering for the NTA 
component.
    In Table 14, the adjustment factor is 1.00 for days 1 to 14. This 
is because the analyses described above indicated that PT/OT costs 
remain relatively high for the first 14 days and then decline. The 
estimated daily rate of decline for PT/OT costs relative to the initial 
fourteen days is 0.34 percent. Therefore, we believe a convenient and 
appropriate way to reflect this in the adjustment factors would be to 
have a decline of 1 percent every 3 days after day 14. The 0.34 percent 
rate of decline is derived from a regression model that estimates the 
level of resource use for each day in the stay relative to the 
beginning of the stay. The regression methodology and results are 
presented in section 3.9.3 of the SNF PMR Technical Report.
    NTA resource utilization, as described above, exhibits a somewhat 
different pattern. NTA costs are very high at the beginning of the 
stay, drop rapidly after the first three days, and remain relatively 
stable from the fourth day of the stay. Starting on day 4 of a stay, 
the per diem costs drop to roughly one-third of the per diem costs in 
the initial 3 days. This suggests that many NTA services are provided 
in the first few days of a SNF stay. Therefore, we are considering 
setting the NTA adjustment factor for days 1 to 3 at 3.00 to reflect 
the extremely high initial costs, and then setting it at 1.00 (two-
thirds lower than the initial level) for subsequent days. The 
adjustment factor was set at 3.00 for the first 3 days and 1.00 after 
(rather than, for example, 1.00 and 0.33, respectively) for simplicity.
    Case-mix adjusted federal per diem payment for a given component 
and a given day would be equal to the base rate for the relevant 
component (either urban or rural), multiplied by the CMI for that 
resident, multiplied by the variable per diem adjustment factor for 
that specific day, as applicable. Additionally, as described in further 
detail in section III.B.3.d of this ANPRM, an additional 19 percent 
would be added to the nursing per-diem payment to account for the 
additional nursing costs associated with residents who have HIV/AIDS. 
These payments would then be added together, along with the non-case-
mix component payment rate, to create a resident's total SNF PPS per 
diem rate under the RCS-I model under consideration.
    We invite comments on the ideas and the approach we are 
considering, as discussed above.

   Table 14--Variable Per-Diem Adjustment Factors and Schedule--PT/OT
------------------------------------------------------------------------
                                                              Adjustment
                   Medicare payment days                        factor
------------------------------------------------------------------------
1-14.......................................................         1.00
15-17......................................................         0.99
18-20......................................................         0.98
21-23......................................................         0.97

[[Page 21002]]

 
24-26......................................................         0.96
27-29......................................................         0.95
30-32......................................................         0.94
33-35......................................................         0.93
36-38......................................................         0.92
39-41......................................................         0.91
42-44......................................................         0.90
45-47......................................................         0.89
48-50......................................................         0.88
51-53......................................................         0.87
54-56......................................................         0.86
57-59......................................................         0.85
60-62......................................................         0.84
63-65......................................................         0.83
66-68......................................................         0.82
69-71......................................................         0.81
72-74......................................................         0.80
75-77......................................................         0.79
78-80......................................................         0.78
81-83......................................................         0.77
84-86......................................................         0.76
87-89......................................................         0.75
90-92......................................................         0.74
93-95......................................................         0.73
96-98......................................................         0.72
99-100.....................................................         0.71
------------------------------------------------------------------------


    Table 15--Variable Per-Diem Adjustment Factors and Schedule--NTA
------------------------------------------------------------------------
                                                              Adjustment
                   Medicare payment days                        factor
------------------------------------------------------------------------
1-3........................................................          3.0
4-100......................................................          1.0
------------------------------------------------------------------------

C. Use of the Resident Assessment Instrument--Minimum Data Set, Version 
3

1. Potential Revisions to Minimum Data Set (MDS) Completion Schedule
    Consistent with section 1888(e)(6)(B) of the Act, to classify 
residents under the SNF PPS, we use the MDS 3.0 Resident Assessment 
Instrument. Within the SNF PPS, there are two categories of 
assessments, scheduled and unscheduled. In terms of scheduled 
assessments, SNFs are required to complete assessments on or around 
Days 5, 14, 30, 60, and 90 of a resident's Part A SNF stay, including 
certain grace days. Payments based on these assessments depend upon 
standard Medicare payment windows associated with each scheduled 
assessment. More specifically, each of the Medicare-required scheduled 
assessments has defined days within which the Assessment Reference Date 
(ARD) must be set. The ARD is the last day of the observation (or 
``look-back'') period that the assessment covers for the resident. The 
facility is required to set the ARD on the MDS form itself or in the 
facility software within the appropriate timeframe of the assessment 
type being completed. The clinical data collected from the look-back 
period is used to determine the payment associated with each 
assessment. For example, the ARD for the 5-day PPS Assessment is any 
day between Days 1 to 8 (including Grace Days). The clinical data 
collected during the look-back period for that assessment is used to 
determine the SNF payment for Days 1 to 14. Section 413.343(b), MDS 3.0 
RAI Manual Chapter 2.5, 2.8. Unscheduled assessments, such as the Start 
of Therapy (SOT) Other Medicare Required Assessment (OMRA), the End of 
Therapy OMRA (EOT OMRA), the Change of Therapy (COT) OMRA, and the 
Significant Change in Status Assessment (SCSA or Significant Change), 
may be required during the resident's Part A SNF stay when triggered by 
certain defined events. For example, if a resident is being discharged 
from therapy services, but remaining within the facility to continue 
the Part A stay, then the facility may be required to complete an EOT 
OMRA. Each of the unscheduled assessments affects payment in different 
and defined manners. A description of the SNF PPS scheduled and 
unscheduled assessments, including the criteria for using each 
assessment, the assessment schedule, payment days covered by each 
assessment, and other related policies, are set forth in the MDS 3.0 
RAI manual on the CMS Web site (available at https://downloads.cms.gov/files/MDS-30-RAI-Manual-V114-October-2016.pdf). Table 16 outlines when 
each SNF PPS assessment is required to be completed and its effect on 
SNF PPS payment.

                                    Table 16--Current PPS Assessment Schedule
----------------------------------------------------------------------------------------------------------------
                                            Scheduled PPS assessments
-----------------------------------------------------------------------------------------------------------------
                                                               Assessment
Medicare MDS assessment schedule    Assessment reference     reference date      Applicable standard Medicare
              type                          date               grace days                payment days
----------------------------------------------------------------------------------------------------------------
5-day...........................  Days 1-5................               6-8  1 through 14.
14-day..........................  Days 13-14..............             15-18  15 through 30.
30-day..........................  Days 27-29..............             30-33  31 through 60.
60-day..........................  Days 57-59..............             60-63  61 through 90.
90-day..........................  Days 87-89..............             90-93  91 through 100.
----------------------------------------------------------------------------------------------------------------
                                           Unscheduled PPS assessments
----------------------------------------------------------------------------------------------------------------
Start of Therapy OMRA...........  5-7 days after the start of therapy         Date of the first day of therapy
                                                                               through the end of the standard
                                                                               payment period.
End of Therapy OMRA.............  1-3 days after all therapy has ended        First non-therapy day through the
                                                                               end of the standard payment
                                                                               period.
Change of Therapy OMRA..........  Day 7 (last day) of the COT observation     The first day of the COT
                                   period                                      observation period until End of
                                                                               standard payment period, or until
                                                                               interrupted by the next COT-OMRA
                                                                               assessment or scheduled or
                                                                               unscheduled PPS Assessment.
Significant Change in Status      No later than 14 days after significant     ARD of Assessment through the end
 Assessment.                       change identified                           of the standard payment period.
----------------------------------------------------------------------------------------------------------------

    An issue which has been raised in the past with regard to the 
existing SNF PPS assessment schedule is that the sheer number of 
assessments, as well as the complex interplay of the assessment rules, 
significantly increases the

[[Page 21003]]

administrative burden associated with the SNF PPS. Case-mix 
classification under the RCS-I model under consideration relies to a 
much lesser extent on characteristics that may change very frequently 
over the course of a resident's stay (for example, therapy minutes may 
change due to resident refusal or unexpected changes in resident 
status), but instead relies on more stable predictors of resource 
utilization by tying case-mix classification, to a much greater extent, 
to resident characteristics such as diagnosis information. In view of 
the greater reliance of the RCS-I case-mix classification system under 
consideration (as compared to the RUG-IV model) on resident 
characteristics that are relatively stable over a stay and our general 
focus on reducing administrative burden for providers across the 
Medicare program, if we were to implement the RCS-I model, we are 
considering the possibility of reducing the administrative burden on 
providers by concurrently revising the assessments that would be 
required under the RCS-I model. Specifically, we are considering the 
possibility of using the 5-day SNF PPS scheduled assessment to classify 
a resident under the RCS-I model under consideration for payment 
purposes for the entirety of his or her Part A SNF stay, except as 
described below. If we were to finalize this policy, we would revise 
the regulations at Sec.  413.343(b) so that such regulations would no 
longer reflect the RUG-IV assessment schedule.
    We understand that Medicare beneficiaries are each unique and can 
experience clinical changes which may require a SNF to reassess the 
resident to capture significant changes in the resident's condition. 
Therefore, to allow SNFs to capture these types of significant changes, 
under the RCS-I model we are considering, we would permit providers to 
reclassify residents from the initial 5-day classification using the 
Significant Change in Status Assessment (SCSA), which is a 
Comprehensive assessment (that is, an MDS assessment which includes 
both the completion of the MDS, as well as completion of the Care Area 
Assessment (CAA) process and care planning), but only in cases where 
the criteria for a significant change are met. A ``significant 
change,'' according to the MDS manual, is a major decline or 
improvement in a resident's status that: (1) Will not normally resolve 
itself without intervention by staff or by implementing standard 
disease-related clinical interventions, and is not ``self-limiting'' 
(for declines only); (2) Affects more than one area of the resident's 
health status; and (3) Requires interdisciplinary review and/or 
revision of the care plan. See the regulations at 42 CFR 
483.20(b)(2)(ii), and the MDS 3.0 RAI Manual, Chapter 2.6.
    In addition to providing for the completion of the SCSA, as 
described above, we have also considered the implications of a SNF 
completing an SCSA on the variable per diem adjustment schedule 
described in section III.B.4. of this ANPRM. More specifically, we have 
considered whether an SNF completing an SCSA should cause a reset in 
the variable per diem adjustment schedule for the associated resident. 
While we do believe that a significant change may be sufficient to 
cause a change in the resident's RCS-I classification, we do not 
believe that, in most instances, such a change would require a SNF to 
expend all of the resources that would be necessary to treat an 
individual who initially presented with that condition at admission. 
Furthermore, we are concerned that by providing for the variable per 
diem adjustment schedule to be reset after an SCSA is completed, 
providers may be incentivized to conduct multiple SCSAs during the 
course of a resident's stay to reset the variable per diem adjustment 
schedule each time the adjustment is reduced. Therefore, in cases where 
an SCSA is completed, we are considering an approach in which this 
assessment could reclassify the resident for payment purposes as 
outlined in Table 17, but the resident's variable per diem adjustment 
schedule would continue rather than being reset on the basis of 
completing the SCSA.
    Finally, under the RCS-I model we are considering, SNFs would 
continue to be required to complete a PPS Discharge Assessment. In 
addition, we are considering the possibility of adding certain items to 
this PPS Discharge Assessment that would allow CMS to track therapy 
minutes over the course of a resident's Part A stay. We believe that 
the combination of the 5-day Scheduled PPS Assessment, the Significant 
Change in Status Assessment, and the PPS Discharge Assessment would 
provide flexibility for providers to capture and report accurately the 
resident's condition, as well as accurately reflect resource 
utilization associated with that resident, while minimizing the 
administrative burden on providers under the RCS-I model being 
considered.
    Table 17 sets forth the PPS assessment schedule that we are 
considering, incorporating our ideas above.

                    Table 17--PPS Assessment Schedule
------------------------------------------------------------------------
    Medicare MDS assessment         Assessment      Applicable standard
         schedule type            reference date   medicare payment days
------------------------------------------------------------------------
5-day Scheduled PPS Assessment  Days 1-8.........  All covered Part A
                                                    days until Part A
                                                    discharge (unless a
                                                    Significant Change
                                                    in Status assessment
                                                    is completed).
Significant Change In Status    No later than 14   ARD of the assessment
 Assessment (SCSA).              days after         through Part A
                                 significant        discharge (unless
                                 change is          another Significant
                                 identified.        Change in Status
                                                    assessment is
                                                    completed).
PPS Discharge Assessment......  Equal to the End   N/A.
                                 Date of the Most
                                 Recent Medicare
                                 Stay (A2400C).
------------------------------------------------------------------------

    We would note that, as in previous years, we intend to continue to 
work with providers and software developers in understanding changes we 
might consider to the MDS. We invite comments on our ideas for 
revisions to the SNF PPS assessment schedule and related policies as 
discussed above. We also solicit comment on the extent to which 
implementing these ideas would reduce provider burden.
2. Potential Revisions to Therapy Provision Policies Under the SNF PPS
    Currently, almost 90 percent of residents in a Medicare Part A SNF 
stay receive therapy services. Under the current RUG-IV model, therapy 
services are case mix-adjusted primarily based on the therapy minutes 
reported on the MDS. When the original SNF PPS model was developed, 
most therapy services were furnished on an individual basis, and the 
minutes reported on the MDS served as a proxy for the staff resource 
time needed to provide the therapy care. Over the years, we have 
monitored

[[Page 21004]]

provider behavior and have made policy changes as it became apparent 
that, absent safeguards like quality measurement to ensure that the 
amount of therapy provided did not exceed the resident's actual needs, 
there were certain inherent incentives for providers to furnish as much 
therapy as possible. Thus, for example, in the SNF PPS FY 2010 final 
rule (74 FR 40315 through 40319), we decided to allocate concurrent 
therapy minutes for purposes of establishing the RUG-IV group to which 
the patient belongs, and to limit concurrent therapy to two patients at 
a time who were performing different activities.
    Following the decision to allocate concurrent therapy, using STRIVE 
data as a baseline, we found two significant provider behavior changes 
with regard to therapy provision under the RUG-IV payment system. 
First, there was a significant decrease in the amount of concurrent 
therapy that was provided in SNFs. Simultaneously, we observed a 
significant increase in the provision of group therapy, which was not 
subject to allocation at that time. We concluded that the manner in 
which group therapy minutes were counted in determining a patient's 
RUG-IV group created a payment incentive to provide group therapy 
rather than individual therapy or concurrent therapy, even in cases 
where individual therapy (or concurrent therapy) was more appropriate 
for the resident. Thus, we made two policy changes regarding group 
therapy in the FY 2012 SNF PPS final rule (76 FR 48511 through 48517). 
We defined group therapy as exactly four residents who are performing 
the same or similar therapy activities simultaneously. Additionally, we 
allocated group therapy among the four patients participating in group 
therapy--meaning that the total amount of time that a therapist spent 
with a group would be divided by 4 (the number of patients that 
comprise a group) to establish the RUG-IV group to which the patient 
belongs.
    Since we began allocating group therapy and concurrent therapy, 
these modes of therapy (group and concurrent) represent less than one 
percent of total therapy provided to SNF residents. Based on prior 
experience with the provision of concurrent and group therapy in SNFs, 
we again are concerned that if we were to implement the RCS-I model we 
are considering, providers may base decisions regarding the particular 
mode of therapy to use for a given resident on financial considerations 
rather than on the clinical needs of SNF residents. Because the RCS-I 
case-mix model would not use the minutes of therapy provided to a 
resident to classify the resident for payment purposes, we are 
concerned that SNFs may once again become incentivized to emphasize 
group and concurrent therapy, over the kind of individualized therapy 
which is tailored to address each beneficiary's specific care needs 
which we believe is generally the most appropriate mode of therapy for 
SNF residents.
    Since the inception of the SNF PPS, we have limited the amount of 
group therapy provided to each SNF Part A resident to 25 percent of the 
therapy provided to them. As stated in the FY 2000 final rule (64 FR 
41662):

    Although we recognize that receiving PT, OT, or ST as part of a 
group has clinical merit in select situations, we do not believe 
that services received within a group setting should account for 
more than 25 percent of the Medicare resident's therapy regimen 
during the SNF stay. For this reason, no more than 25 percent of the 
minutes reported in the MDS may be provided within a group setting. 
This limit is to be applied for each therapy discipline; that is, 
only 25 percent of the PT minutes reported in the MDS may be minutes 
received in a group setting and, similarly, only 25 percent of the 
OT, or the ST minutes reported may be minutes received in a group 
setting.

    Although we recognize that group and concurrent therapy may have 
clinical merit in specific situations, we also continue to believe that 
individual therapy is generally the best way of providing therapy to a 
resident because it is most tailored to that specific resident's care 
needs. As such, we believe that individual therapy should represent at 
least the majority of the therapy services received by SNF residents. 
To ensure that SNF residents would receive the majority of therapy 
services on an individual basis, if we were to implement the RCS-I 
model, we believe concurrent therapy should be limited to no more than 
25 percent of a SNF resident's therapy minutes, consistent with the 
existing 25 percent limit on group therapy. In combination, these two 
limits would ensure that at least 50 percent of a resident's therapy 
minutes are provided on an individual basis. For this reason, and 
because of the change in how therapy services would be used to classify 
residents under the RCS-I, and the concern that providers may begin to 
utilize more group and concurrent therapy due to financial 
considerations, we are considering setting a 25 percent limit on 
concurrent therapy, in addition to the 25 percent limit on group 
therapy that was established at the inception of the SNF PPS. Further, 
as with current policy as it relates to the group therapy cap, we are 
considering making the concurrent therapy limit discipline-specific. 
For example, if a resident received 800 minutes of physical therapy, no 
more than 200 minutes of this therapy could be provided on a concurrent 
basis and no more than 200 minutes of this therapy could be provided on 
a group basis.
    With a 25 percent limit on group therapy and a 25 percent limit on 
concurrent therapy, providers would be permitted to provide a total of 
50 percent of the total therapy furnished to each resident in a mode 
other than individual therapy. We believe that individual therapy is 
usually the best mode of therapy provision as it permits the greatest 
degree of interaction between the resident and therapist, and should 
therefore represent, at a minimum, the majority of therapy provided to 
an SNF resident. However, we recognize that, in very specific clinical 
situations, group or concurrent therapy may be the more appropriate 
mode of therapy provision, and therefore, we would want to allow 
providers the flexibility to be able to utilize these modes. We 
continue to stress that group and concurrent therapy should not be 
utilized to satisfy therapist or resident schedules, and that all group 
and concurrent therapy should be well documented in a specific way to 
demonstrate why they are the most appropriate mode for the resident and 
reasonable and necessary for his or her individual condition. We have 
also considered a combined limit on both concurrent and group therapy 
of 25 percent, but believe that this may not afford sufficient 
flexibility to SNFs to provide services as appropriate given the needs 
of the resident. We invite comments on the ideas discussed here and 
other ways in which these limits may be applied.
3. Interrupted Stay Policy
    Under section 1812(a)(2)(A) of the Act, Medicare Part A covers a 
maximum of 100 days of SNF services per spell of illness, or ``benefit 
period''. A benefit period starts on the day the beneficiary begins 
receiving inpatient hospital or SNF benefits under Medicare Part A. 
(See section 1861(a) of the Act; Sec.  409.60). SNF coverage also 
requires a prior qualifying, inpatient hospital stay of at least 3 
consecutive days' duration (counting the day of inpatient admission but 
not the day of discharge). (See section 1861(i) of the Act; Sec.  
409.30(a)(1)). Once the 100 available days of SNF benefits are used, 
the current benefit period must end before a beneficiary can renew SNF 
benefits under a new benefit period. For the

[[Page 21005]]

current benefit period to end so a new benefit period can begin, a 
period of 60 consecutive days must elapse throughout which the 
beneficiary is neither an inpatient of a hospital nor receiving skilled 
care in a SNF. (See section 1861(a) of the Act; Sec.  409.60). Once a 
benefit period ends, the beneficiary must have another qualifying 3-day 
inpatient hospital stay and meet the other applicable requirements 
before Medicare Part A coverage of SNF care can resume. (See section 
1861(i); Sec.  409.30)
    While the majority of SNF benefit periods, approximately 77 
percent, involve a single SNF stay, it is possible for a beneficiary to 
be readmitted multiple times to a SNF within a single benefit period, 
and such cases represent the remaining 23 percent of SNF benefit 
periods. For instance, a resident can be readmitted to a SNF within 30 
days after a SNF discharge without requiring a new qualifying 3-day 
inpatient hospital stay or beginning a new benefit period. SNF 
admissions that occur between 31 and 60 days after a SNF discharge 
require a new qualifying 3-day inpatient hospital stay, but fall within 
the same benefit period. (See sections 1861(a) and (i) of the Act; 
Sec. Sec.  409.30, 409.60)
    Other Medicare post-acute care (PAC) benefits have ``interrupted 
stay'' policies that provide for a payment adjustment when the 
beneficiary temporarily goes to another setting, such as an acute care 
hospital, and then returns within a specific timeframe. In the 
inpatient rehabilitation facility (IRF) and inpatient psychiatric 
facility (IPF) settings, for instance, an interrupted stay occurs when 
a patient returns to the same facility within 3 days of discharge. The 
interrupted stay policy for long-term care hospitals (LTCHs) is more 
complex, consisting of several policies depending on the length of the 
interruption and, at times, the discharge destination: An interruption 
of 3 or fewer days is always treated as an interrupted stay, which is 
similar to the IRF PPS and IPF PPS policies; if there is an 
interruption of more than 3 days, the length of the gap required to 
trigger a new stay varies depending on the discharge setting. In these 
three settings, when a beneficiary is discharged and returns to the 
facility within the interrupted stay window, Medicare treats the two 
segments as a single stay.
    While other PAC benefits have interrupted stay policies, the SNF 
benefit under the RUG-IV case-mix model has had no need for such a 
policy because given a resident's case-mix group, payment does not 
change over the course of a stay. In other words, assuming no change in 
a patient's condition or treatment, the payment rate is the same on Day 
1 of a covered SNF stay as it is at Day 7. Accordingly, a beneficiary's 
readmission to the SNF--even if only a few days may have elapsed since 
a previous discharge--could essentially be treated as a new and 
different stay without affecting the payment rates.
    However, as discussed in section III.B.4 of this ANPRM, under the 
RCS-I case-mix model, we are considering adjusting the PT/OT and NTA 
components of the per diem rate across the length of a stay (the 
variable per diem adjustment) to better reflect how and when costs are 
incurred and resources used over the course of the stay, such that 
earlier days in a given stay receive higher payments, with payments 
trending lower as the stay continues. In other words, the adjusted 
payment rate on Day 1 and Day 7 of a SNF stay would not be the same. 
Although we believe this variable per diem adjustment schedule more 
accurately reflects the increased resource utilization in the early 
portion of a stay for single-stay benefit periods (which represent the 
majority of cases), we have considered whether and how such an 
adjustment should be applied to payment rates for cases involving 
multiple stays per benefit period. In other words, if a resident has a 
Part A stay in a SNF, leaves the facility for some reason, and then is 
readmitted to the same SNF or a different SNF, we have considered how 
this readmission should be viewed in terms of both resident 
classification and the variable per diem adjustment schedule under the 
RCS-I model under consideration. Application of the variable per diem 
adjustment is of particular concern because providers may consider 
discharging a resident and then readmitting the resident shortly 
thereafter to reset the resident's variable per diem adjustment 
schedule and maximize the payment rates for that resident.
    Given the potential harm which may be caused to the resident if 
discharged inappropriately, and other concerns outlined above, we are 
considering the possibility of adopting an interrupted stay policy 
under the SNF PPS, in conjunction with the implementation of the RCS-I 
case-mix model. Specifically, as further explained below, in cases 
where a resident is discharged from a SNF and returns to the same SNF 
within 3 calendar days after having been discharged, we are considering 
the possibility of treating the resident's stay as a continuation of 
the previous stay for purposes of both resident classification and the 
variable per diem adjustment schedule. In cases where the resident is 
readmitted to the same SNF more than 3 calendar days after having been 
discharged, or in any case where the resident is readmitted to a 
different SNF, we are considering the possibility of treating the 
readmission as a new stay, in which the resident would receive a new 5-
day assessment upon admission and the variable per diem adjustment 
schedule for that resident would reset to Day 1. For the purposes of 
the interrupted stay policy, the source of the readmission would not be 
relevant. That is, the beneficiary may be readmitted from the 
community, from an intervening hospital stay, or from a different kind 
of facility and the interrupted stay policy would operate in the same 
manner. The only relevant factors in determining if the interrupted 
stay policy would apply are the number of days between the resident's 
discharge from a SNF and subsequent readmission to a SNF, and whether 
the resident is re-admitted to the same or a different SNF.
    Consider the following examples, which we believe aid in clarifying 
how this policy would be implemented:
    Example A: A beneficiary is discharged from a SNF stay on Day 3 of 
admission. Four days after the date of discharge, the beneficiary is 
then readmitted (as explained above, this readmission would be in the 
same benefit period). The SNF would conduct a new 5-day assessment at 
the start of the second admission and reclassify the beneficiary 
accordingly. In addition, for purposes of the variable per diem 
adjustment schedule, the payment schedule for the second admission 
would reset to Day 1 payment rates for the beneficiary's new case-mix 
classification.
    Example B: A beneficiary is discharged from a SNF stay on Day 7 and 
is readmitted to the same SNF before midnight of the date 3 calendar 
days from the day of discharge. For the purposes of classification and 
payment, this would be considered a continuation of the previous stay 
(an interrupted stay). The SNF would not conduct a new assessment to 
reclassify the patient and for purposes of the variable per diem 
adjustment schedule, the payment schedule would continue where it left 
off; in this case, the first day of the second stay would be paid at 
the Day 8 per diem rates under that schedule.
    We have also considered alternatives ways of structuring the 
interrupted stay policy. For example, we have considered possible 
ranges for the interrupted stay window other than the three calendar 
day window discussed in this ANPRM. For example, we considered windows 
of fewer than 3

[[Page 21006]]

days (for example, 1 or 2 day windows for readmission) as well as 
windows of more than 3 days (for example, 4 or 5 day windows for 
readmission). However, we believe that 3 days represents a reasonable 
window after which it is more likely that a resident's condition and 
resource needs will have changed. We also believe that consistency with 
other payment systems, like that of IRF and IPF, is helpful in 
providing clarity and consistency to providers in understanding 
Medicare payment systems, as well as making progress toward 
standardization among PAC payment systems. We invite comments on the 
appropriate length of the window for an interrupted stay policy.
    In addition, to determine how best to operationalize an interrupted 
stay policy within the SNF setting, we have considered three broad 
categories of benefit periods consisting of multiple stays. The first 
type of scenario, SNF-to-SNF transfers, is one in which a resident is 
transferred directly from one SNF to a different SNF. The second case 
we have considered, and the most common of all three multiple-stay 
benefit period scenarios, is a benefit period that includes a 
readmission following a new hospitalization between the two stays--for 
instance, a resident who was discharged from a SNF back to the 
community, re-hospitalized at a later date, and readmitted to a SNF 
(the same SNF or a different SNF) following the new hospital stay. The 
last case we have considered was a readmission to the same SNF or a 
different SNF following a discharge to the community, with no 
intervening re-hospitalization. Since benefit periods with exactly two 
stays account for a large majority of all benefit periods with multiple 
stays, we primarily examined benefit periods with two stays. Of these 
cases, over three quarters (76.4 percent) consist of re-hospitalization 
and readmission (to the same SNF or a different SNF). Community 
discharge and readmission without re-hospitalization cases represent 
approximately 14 percent of cases, while direct SNF-to-SNF transfers 
represent approximately 10 percent.
    For each of these case types, in which a resident was readmitted to 
a SNF no more than 3 days after discharge, we examined whether (1) the 
variable per diem adjustment schedule should be ``reset'' back to the 
Day 1 rates at the outset of the second stay versus ``continuing'' the 
variable per diem adjustment schedule at the point at which the 
previous stay ended, and (2) a new 5-day assessment and resident 
classification should be required at the start of the second, or other 
subsequent, SNF stay.
    With regard to the first question above, specifically whether or 
not a re-admission to a SNF no more than three calendar days after 
discharge from that SNF would reset the resident's variable per diem 
adjustment schedule, in each of the cases described above, we were 
concerned generally that an interrupted stay policy that ``restarts'' 
the variable per diem adjustment schedule to Day 1 after readmissions 
could incentivize unnecessary discharges with quick readmissions. This 
concern is particularly notable in the second and third cases described 
above, as the beneficiary may return to the same facility. Regression 
analyses showed that the second stay following a direct SNF-to-SNF 
transfer had similar costs to the first stay in a benefit period. As a 
result, the first case described above was excluded from the 
interrupted stay policy, which is restricted to readmissions to the 
same SNF. These types of transfers were also excluded from the 
interrupted stay policy because including such stays could potentially 
incentivize frequent discharge and readmission issues among facilities 
that share common ownership. In the second and third cases, the second 
stay tended to have lower costs than the first stay, suggesting that it 
is reasonable not to reset the resident's variable per diem adjustment 
schedule to address the incentive concerns described above.
    With regard to the first question above, we examined changes in 
costs from the first to second admission for the three scenarios 
described above (SNF-to-SNF direct transfers, readmissions following 
re-hospitalization, and readmissions following community discharge). 
Regression analyses showed that costs from the first to second 
admission were similar for SNF-to-SNF transfers and slightly lower for 
readmissions following re-hospitalizations. For readmissions following 
community discharges, costs were notably lower when residents returned 
to the same provider but similar when residents were admitted to a 
different facility. Because these results showed that an admission to a 
different SNF, regardless of the length of the gap between discharge 
and readmission, resulted in similar costs to the first admission, we 
are considering the possibility of always resetting the variable per 
diem adjustment schedule to Day 1 whenever residents are discharged and 
readmitted to a different SNF. We acknowledge that this could lead to 
patterns of inappropriate readmission that could be inconsistent with 
the intent of this policy; for example, we would be concerned about 
patients in SNF A consistently being admitted to SNF B to the exclusion 
of other SNFs in the area. However, because of the concern that a SNF 
provider could discharge and promptly readmit a resident to reset the 
variable per diem adjustment schedule to Day 1, in cases where a 
resident returns to the same provider we are considering allowing the 
payment schedule to reset only when the resident has been out of the 
facility for at least 3 days. More information on these analyses can be 
found in section 3.10.3 of the SNF PMR technical report available at 
https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/SNFPPS/therapyresearch.html.
    With regard to the question of whether or not SNFs would be 
required to complete a new 5-day assessment and reclassify the resident 
after returning to the SNF no more than 3 calendar days after discharge 
from the SNF, we investigated changes in resident characteristics from 
the first to the second stay within a benefit period. First, we looked 
at changes in clinical categories from the first to second stay for 
residents with an intervening re-hospitalization. This analysis could 
only be conducted for residents with a re-hospitalization because, as 
described in section 3.10.2 of the SNF PMR technical report, for 
research purposes classification into clinical categories was based on 
the diagnosis from the prior inpatient stay. Both SNF-to-SNF direct 
transfers and residents readmitted after a community discharge lacked a 
new hospitalization that would allow them to change clinical 
categories. (As described in section III.B.3.b of the ANPRM, 
classification into clinical categories would be operationalized under 
the RCS-I model under consideration using the primary diagnosis from 
item I8000 on the MDS 3.0. This information is not currently available; 
therefore, we used the prior inpatient diagnosis for research 
purposes.) For those residents who had a re-hospitalization and 
therefore could be reclassified into a new clinical category, we found 
that the vast majority fell into either the same category as in their 
first stay or the lowest-payment clinical category (medical 
management). For residents without a re-hospitalization between 
discharge and readmission, we examined changes in functional status 
from the first to second stay. Specifically, we looked at whether the 
RCS-I PT/OT group into which they were classified based on the 5-day

[[Page 21007]]

assessment of the second stay was associated with higher or lower 
functional status relative to the PT/OT group they were placed in based 
on the 5-day assessment of the first stay. We found that a large 
majority of these residents were classified into PT/OT groups 
associated with the same functional status across the first and second 
stays. More information on these analyses can be found in section 
3.10.2 of the SNF PMR technical report available at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/SNFPPS/therapyresearch.html. Additionally, we note that under the approach 
discussed in section III.C.1 of this ANPRM, providers would be afforded 
the flexibility to use the SCSA, which would allow for reclassification 
in cases where a SCSA is warranted. Thus, we believe it would be 
appropriate to maintain the classification from the first stay for 
those residents returning to the SNF no more than 3 calendar days after 
discharge from the same facility.
    We invite comments on our ideas above.

D. Relationship of RCS-I to Existing Skilled Nursing Facility Level of 
Care Criteria

    Since the case-mix adjustment aspect of the SNF PPS has been based, 
in part, on the beneficiary's need for skilled nursing care and 
therapy, we have coordinated claims review procedures with the existing 
resident assessment process and case-mix classification system. This 
approach includes an administrative presumption that utilizes a 
beneficiary's initial classification in one of the upper 52 RUGs of the 
existing 66-group RUG-IV system to assist in making certain SNF level 
of care determinations.
    We are considering the possibility of adopting a similar approach 
under the RCS-I case-mix classification model, by retaining an 
administrative presumption mechanism that would utilize a beneficiary's 
initial classification into one of the designated upper groups to 
assist in making certain SNF level of care determinations. This 
designation would reflect an administrative presumption under the RCS-I 
model that beneficiaries who are correctly assigned to one of the 
designated groups on the initial 5-day, Medicare-required assessment 
are automatically classified as meeting the SNF level of care 
definition up to and including the assessment reference date on the 5-
day Medicare required assessment.
    As under the existing administrative presumption, a beneficiary who 
is not assigned to one of the designated groups would not automatically 
be classified as either meeting or not meeting the definition, but 
instead would receive an individual level of care determination using 
the existing administrative criteria. This presumption would recognize 
the strong likelihood that beneficiaries assigned to one of the 
designated upper groups during the immediate post-hospital period 
require a covered level of care, which would be less likely for those 
beneficiaries assigned to one of the lower groups.
    We note that the most direct crosswalk between the existing RUG-IV 
model and the RCS-I model under consideration would involve nursing 
services, for which each resident would be classified into one of the 
43 existing non-rehabilitation RUG-IV groups. Under the approach being 
considered, effective in conjunction with the implementation of the 
RCS-I model, the administrative presumption would continue to apply to 
those of the 43 groups that currently comprise the designated nursing 
categories under the existing RUG-IV model:
     Extensive Services;
     Special Care High;
     Special Care Low; and,
     Clinically Complex.
    In addition, along with the continued use of the remaining, nursing 
portion of the RUG-IV model, we also are considering the possibility of 
applying the administrative presumption using those other classifiers 
under the RCS-I model under consideration that we believe would relate 
the most directly to a given patient's acuity. As explained below, we 
would designate such classifiers for this purpose based on their 
ability to fulfill the administrative presumption's role as described 
in the FY 2000 SNF PPS final rule--that is, to identify those ``. . . 
situations that involve a high probability of the need for skilled care 
. . . when taken in combination with the characteristic tendency . . . 
for an SNF resident's condition to be at its most unstable and 
intensive state at the outset of the SNF stay'' (64 FR 41668 through 
41669, July 30, 1999).
    Specifically, we are considering the possibility of utilizing the 
PT/OT component's functional score, as well as the NTA component's 
comorbidity score for this purpose, which would be effective in 
conjunction with the implementation of the RCS-I model. Under this 
approach, those residents not classifying into one of the designated 
nursing RUG categories under the RCS-I model under consideration on the 
initial, 5-day Medicare-required assessment could nonetheless still 
qualify for the administrative presumption on that assessment, either 
by receiving the most intensive functional score (14 to 18) under the 
PT/OT component, or by receiving the uppermost comorbidity score (11+) 
under the NTA component. We believe that these particular clinical 
indicators would appropriately serve to fulfill the administrative 
presumption's role of identifying those cases with the highest 
probability of requiring an SNF level of care throughout the initial 
portion of the SNF stay. We note that to help improve the accuracy of 
these newly-designated groups in serving this function, we would 
continue to review the new designations going forward and could make 
further adjustments to the designations over time as we gain actual 
operating experience under the new classification model.
    We note that affording a streamlined and simplified administrative 
procedure for readily identifying such cases has been the basic purpose 
of the SNF PPS's level of care presumption ever since its inception. In 
this context, we wish to reiterate that an individual beneficiary's 
inability to qualify for the administrative presumption would not in 
itself serve to disqualify that resident from receiving SNF coverage. 
Instead, as we have noted repeatedly in previous rulemaking, while such 
residents are not automatically presumed to require a skilled level of 
care, neither are they automatically classified as requiring nonskilled 
care. Rather, any resident who does not qualify for the presumption 
would instead receive an individual level of care determination using 
the existing administrative criteria. As we explained in the FY 2016 
SNF PPS final rule, this approach serves ``. . . specifically to ensure 
that the presumption does not disadvantage such residents, by providing 
them with an individualized level of care determination that fully 
considers all pertinent factors'' (80 FR 46406, August 4, 2015).
    We invite comments on the ideas and the approach we are 
considering, as discussed above.

E. Effect of RCS-I on Temporary AIDS Add-on Payment

    Section 511(a) of the MMA amended section 1888(e)(12) of the Act to 
provide for a temporary increase of 128 percent in the PPS per diem 
payment for any SNF residents with Acquired Immune Deficiency Syndrome 
(AIDS), effective with services furnished on or after October 1, 2004. 
This special add-on for SNF residents with AIDS was intended to be of 
limited duration, as the MMA legislation specified that it was to 
remain in effect only until the Secretary

[[Page 21008]]

certifies that there is an appropriate adjustment in the case mix to 
compensate for the increased costs associated with such residents.
    The temporary add-on for SNF residents with AIDS is also discussed 
in Program Transmittal #160 (Change Request #3291), issued on April 30, 
2004, which is available online at www.cms.gov/transmittals/downloads/r160cp.pdf. In the SNF PPS final rule for FY 2010 (74 FR 40288, August 
11, 2009), we did not address this certification in that final rule's 
implementation of the case-mix refinements for RUG-IV, thus allowing 
the add-on payment required by section 511 of the MMA to remain in 
effect for the time being.
    In the House Ways and Means Committee Report that accompanied the 
MMA, the explanation of the MMA's temporary AIDS adjustment notes the 
following under Reason for Change: ``According to prior work by the 
Urban Institute, AIDS patients have much higher costs than other 
patients in the same resource utilization groups in skilled nursing 
facilities. The adjustment is based on that data analysis'' (H. Rep. 
No. 108-178, Part 2 at 221). The data analysis from that February 2001 
Urban Institute study (entitled ``Medicare Payments for Patients with 
HIV/AIDS in Skilled Nursing Facilities''), in turn, had been conducted 
under a Report to Congress mandated under a predecessor provision, 
section 105 of the BBRA. This earlier BBRA provision, which ultimately 
was superseded by the MMA's temporary AIDS add-on provision, had 
amended section 1888(e)(12) of the Act to provide for ``Special 
consideration for facilities serving specialized patient populations'' 
(that is, those who are ``immuno-compromised secondary to an infectious 
disease, with specific diagnoses as specified by the Secretary).
    We note that at this point, over 15 years have elapsed since the 
Urban Institute conducted its study on AIDS patients in SNFs, a period 
that has seen major advances in the state of medical practice in 
treating this condition. These advances have notably included the 
introduction of powerful new drugs and innovative prescription regimens 
that have dramatically improved the ability to manage the viral load 
(the amount of human immunodeficiency virus (HIV) in the blood). The 
decrease in viral load secondary to medications has contributed to a 
shift from intensive nursing services for AIDS-related illnesses to an 
increase in antiretroviral therapy. This phenomenon, in turn, is 
reflected in a recent analysis of differences in SNF resource 
utilization, which indicates that while the overall historical 
disparity in costs between AIDS and non-AIDS patients has not entirely 
disappeared, that disparity is now far greater with regard to drugs 
than it is for nursing. Specifically, NTA costs per day for residents 
with AIDS were 151 percent higher than those for other residents, while 
the difference in wage-weighted nursing staff time between the two 
groups was only 19 percent. More information on this analysis can be 
found in section 3.8.3 of the SNF PMR technical report available at 
https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/SNFPPS/therapyresearch.html.
    As discussed previously in section III.B.3.e. of this ANPRM, the 
RCS-I model would include an NTA adjustment that we believe 
appropriately takes into account and compensates for those NTA costs, 
including drugs, which specifically relate to residents with AIDS. 
Regression analysis indicated that the case-mix adjustment for AIDS in 
the NTA component successfully accounts for the increased NTA resource 
utilization for residents with AIDS. Additionally, this analysis 
indicated that the case-mix adjustment of the NTA component accounts 
for most of the current disparity in payments between these and other 
residents, as suggested by a comparison of payments in RUG-IV and 
payments in RCS-I for residents with and without AIDS. More information 
on these analyses can be found in section 3.8.2 of the SNF PMR 
technical report available at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/SNFPPS/therapyresearch.html. Therefore, if we 
were to implement the RCS-I model we are considering, we believe it 
would be appropriate to issue the prescribed certification under 
section 511(a) of the MMA on the basis of the RCS-I model's NTA 
adjustment alone, as effectively representing the required appropriate 
adjustment in the case mix to compensate for the increased costs 
associated with such residents. However, to further ensure that the 
RCS-I model under consideration would account as fully as possible for 
any remaining disparity with regard to nursing costs, as discussed in 
section III.B.3.d., we are additionally considering the possibility of 
including a specific AIDS adjustment as part of the case-mix adjustment 
of the nursing component. As discussed in section III.B.3.d. of this 
ANPRM, we used the STRIVE data to quantify the effects of HIV/AIDS 
diagnosis on nursing resource use. Regression analyses found that wage-
weighted nursing staff time is 19 percent higher for residents with 
HIV/AIDS, controlling for the non-rehabilitation RUG of the resident. 
More information on this analysis can be found in section 3.8.2 of the 
SNF PMR technical report available at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/SNFPPS/therapyresearch.html. Thus, we 
are considering a 19 percent increase in payment for the nursing 
component for residents with HIV/AIDS under the RCS-I model under 
consideration to account for the increased nursing costs for such 
residents. Similar to the NTA adjustment for residents with HIV/AIDS 
discussed in section III.B.3.e. of this ANPRM, this adjustment would be 
identified by ICD-10-CM code B20 on the SNF claim and would be 
processed through the PRICER software used by CMS to set the 
appropriate payment rate for a resident's SNF stay. The 19 percent 
adjustment would be applied to the unadjusted base rate for the nursing 
component, and then this amount would be further case-mix adjusted per 
the resident's RCS-I classification.
    We believe that when taken collectively, these adjustments under 
the RCS-I case mix model that we discuss here would appropriately serve 
to justify issuing the certification prescribed under section 511(a) of 
the MMA effective with the conversion to the RCS-I model, which would 
permit the MMA's existing, temporary AIDS add-on to be replaced by a 
permanent adjustment in the case mix (under the RCS-I case mix model) 
that appropriately compensates for the increased costs associated with 
these residents. We invite comments on the ideas and the approach we 
are considering, as discussed above.

F. Potential Impacts of Implementing RCS-I

    To assess the potential effect of implementing the RCS-I case mix 
model, this section outlines the projected impacts of implementing this 
new case-mix classification model under the SNF PPS. The impacts 
presented here assume implementation of the RCS-I case-mix model and 
associated policy ideas discussed throughout section III. of this 
ANPRM.
    The impact analysis presented here makes a series of other 
assumptions as well, on all of which we solicit comment regarding their 
appropriateness. First, the impacts presented here assume consistent 
provider behavior in terms of how care is provided under RUG-IV and how 
care might be provided under RCS-I, as

[[Page 21009]]

we do not make any attempt to anticipate or predict provider reactions 
to the implementation of RCS-I. That being said, we acknowledge the 
possibility that implementing the RCS-I model could substantially 
affect resident care. Most notably, based on the concerns raised during 
a number of TEPs, we acknowledge the possibility that, as therapy 
payments under RCS-I would not have the same connection to service 
provision as they do under RUG-IV, it is possible that some providers 
may choose to reduce their provision of therapy services to increase 
margins under RCS-I. Additionally, we acknowledge that a number of 
states utilize some form of the RUG-IV case-mix classification system 
as part of their Medicaid programs and that any change in Medicare 
policy can have an impact on state programs. We solicit comments on 
this assumption that behavior would remain unchanged under RCS-I. To 
the extent that commenters may believe that behavior could change under 
RCS-I, we would ask that the commenters describe the types of 
behavioral changes we should expect. Additionally, we solicit comments 
on what type of impact on states we should expect from implementing the 
revisions considered in this ANPRM.
    Another assumption made for these impacts is that, as with prior 
system transitions, we would implement the RCS-I case-mix system, along 
with the other policy changes discussed in section III of this ANPRM, 
in a budget neutral manner through application of a parity adjustment 
to the case-mix weights under the RCS-I model under consideration, as 
further discussed below. We make this assumption because, as with prior 
system transitions, in considering changes to the case-mix methodology, 
we do not intend to change the aggregate amount of Medicare payments to 
SNFs, but rather to utilize a case-mix methodology to classify 
residents in such a manner as to best ensure that payments made for 
specific residents are an accurate reflection of resource utilization 
without introducing potential incentives which could incentivize 
inappropriate care delivery, as we believe may exist under the current 
case-mix methodology. However, as we would not be required to implement 
RCS-I in a budget neutral manner, we solicit comment on whether we 
should consider implementing RCS-I in a manner that is not budget 
neutral.
    For illustrative purposes, the impact analysis presented here 
assumes implementation of these changes in a budget neutral manner 
without a behavioral change. The prior sections describe how case-mix 
weights are set to reflect relative resource use for each case-mix 
group. RCS-I payment before application of a parity adjustment is 
calculated using the unadjusted CMI for each component, the variable 
per diem payment adjustment schedule, the different base rates for 
urban and rural facilities, the labor-related share, and the geographic 
wage indexes. In applying a parity adjustment to the case-mix weights, 
we maintained the relative value of each CMI, but multiplied every CMI 
by a ratio to achieve parity in overall SNF PPS payments under the RCS-
I case-model and under the RUG-IV case-mix model. The multiplier is 
calculated through the following steps. First, we calculate total 
payment subtracted by pre-AIDS adjusted non-case mix payment under RUG-
IV. Second, we calculate what total payment would have been under RCS-I 
before application of the parity adjustment. Third, we subtract non-
case-mix component payments from both calculations, as this component 
does not change across systems. This subtraction does not include the 
temporary add-on for residents with HIV/AIDS in the RUG-IV system, 
therefore ensuring that the amount subtracted is the same for both RUG-
IV and potential RCS-I payments, given the replacement of the temporary 
add-on described in section III.E. Lastly, we divide the remaining 
total RUG-IV payments over the remaining total RCS-I payments prior to 
the parity adjustment. This division yields a ratio (parity adjustment) 
by which the RCS-I CMIs are multiplied so that total estimated payments 
under the RCS-I model under consideration would be equal to total 
estimated payments under RUG-IV, assuming no changes in the population, 
provider behavior, and coding. More details regarding this calculation 
and analysis are described in section 3.12 of the SNF PMR Technical 
Report. The impact analysis presented in this section focuses on how 
payments under the RCS-I model under consideration would be re-
allocated across different resident groups and among different facility 
types, assuming implementation in a budget neutral manner. We invite 
comments on this discussion and approach.
    The projected resident-level impacts are presented in Table 18. The 
first column identifies different resident subpopulations and the 
second column shows what percent of SNF stays are represented by the 
given subpopulation. The third column shows the average change in 
payment for residents in a given subpopulation, represented as a 
percentage change from payments made for that subpopulation under RUG-
IV versus those which would be made under the RCS-I model under 
consideration. Positive changes in this column represent a projected 
positive shift in payments for that subpopulation under the RCS-I model 
under consideration, while negative changes in this column represent 
projected negative shifts in payment for that subpopulation. More 
information on the construction of current payments under RUG-IV and 
payments under the RCS-I model for purposes of this impact analysis can 
be found in section 3.13 of the SNF PMR Technical Report available at 
https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/SNFPPS/therapyresearch.html. Based on the data presented in Table 18, we 
observe that the most significant shift in payments created by 
implementation of the RCS-I case-mix model would be to redirect 
payments away from residents who are receiving very high amounts of 
therapy under the current SNF PPS (which strongly incentivizes the 
provision of therapy) to residents with more complex clinical needs. 
Other resident types that may see higher relative payments under the 
RCS-I system are residents with high NTA costs, dual-eligible 
residents, residents with ESRD, and residents with longer qualifying 
inpatient stays.

             Table 18--RCS-I Impact Analysis, Resident-Level
------------------------------------------------------------------------
                                            Percent of
        Resident characteristics               stays      Percent change
------------------------------------------------------------------------
All stays...............................           100.0             0.0
Sex:
    Female..............................            62.1            -0.7
    Male................................            37.9             1.2
Age:
    <65 years...........................             9.6             5.4

[[Page 21010]]

 
    65-74 years.........................            21.3             2.7
    75-84 years.........................            34.0            -0.3
    85-89 years.........................            19.3            -2.3
    90+ years...........................            15.7            -2.8
Race/Ethnicity:
    White...............................            85.2            -0.1
    Black...............................            10.6             0.4
    Hispanic............................             1.6            -0.2
    Asian...............................             1.2            -0.8
    Native American.....................             0.4             6.6
    Other or unknown....................             1.1             0.7
Medicare/Medicaid Dual Status:
    Dually enrolled.....................            35.2             2.9
    Not dually enrolled.................            64.8            -1.9
Original Reason for Medicare Enrollment:
    Aged................................            76.6            -1.2
    Disabled............................            22.5             3.9
    ESRD................................             0.9            10.0
    Unknown.............................             0.0            -3.3
Number of Utilization Days:
    1-15 days...........................            33.3            15.9
    16-30 days..........................            31.6             0.6
    31+ days............................            35.1            -2.5
Number of Utilization Days = 100:
    No..................................            97.4             0.3
    Yes.................................             2.6            -2.7
Length of Qualifying Inpatient Stay:
    3 days..............................            22.5            -2.3
    4-30 days...........................            73.6             0.5
    31+ days............................             1.8             4.6
Presence of Complications in MS-DRG of
 Qualifying Inpatient Stay:
    No Complication.....................            37.9            -2.3
    CC/MCC..............................            62.1             1.4
Stroke:
    No..................................            87.5            -0.1
    Yes.................................            12.5             0.7
CFS Level:
    Cognitive Intact....................            54.3            -0.5
    Mildly Impaired.....................            22.8             1.6
    Moderately Impaired.................            18.2            -1.8
    Severely Impaired...................             4.6             6.1
HIV:
    No..................................            99.7             0.2
    Yes.................................             0.3           -40.0
IV Medication:
    No..................................            91.4            -2.0
    Yes.................................             8.6            22.9
Diabetes:
    No..................................            65.0            -2.8
    Yes.................................            35.0             5.2
Wound Infection:
    No..................................            97.8            -0.4
    Yes.................................             2.2            17.9
Amputation/Prosthesis Care:
    No..................................           100.0             0.0
    Yes.................................             0.0             4.7
Most Common Therapy Level:
    RU..................................            54.0            -9.1
    RV..................................            22.7             9.3
    RH..................................             7.7            24.4
    RM..................................             3.7            36.9
    RL..................................             0.1            49.3
    Non-Rehabilitation..................            11.7            44.5
Number of Therapy Disciplines Used:
    0...................................             5.4            20.0
    1...................................             3.3            37.3
    2...................................            51.4             1.6
    3...................................            39.9            -3.9
Physical Therapy Utilization:
    No..................................             7.3            24.2
    Yes.................................            92.7            -1.0

[[Page 21011]]

 
Occupational Therapy Utilization:
    No..................................             8.6            24.8
    Yes.................................            91.4            -1.2
Speech Language Pathology Utilization:
    No..................................            58.4             3.2
    Yes.................................            41.6            -3.1
Therapy Utilization:
    PT+OT+SLP...........................            39.9            -3.9
    PT+OT Only..........................            50.4             1.2
    PT+SLP Only.........................             0.6            22.9
    OT+SLP Only.........................             0.5            25.6
    PT Only.............................             1.9            34.9
    OT Only.............................             0.7            41.8
    SLP Only............................             0.7            39.2
    Non-therapy.........................             5.4            20.0
NTA Costs:
    $0-$10..............................            10.9            -2.6
    $10-$50.............................            44.1            -3.2
    $50-$150............................            32.1             3.5
    $150+...............................             9.4            19.2
    Unknown.............................             3.5             3.3
Extensive Services Level:
    Tracheostomy and Ventilator/                     0.4            18.1
     Respirator.........................
    Tracheostomy or Ventilator/                      0.6             3.1
     Respirator.........................
    Infection Isolation.................             1.3             8.9
    Neither.............................            97.8            -0.3
------------------------------------------------------------------------

    Projected facility-level impacts are presented in Table 19. The 
first column identifies different facility subpopulations and the 
second column shows the percentage of SNFs represented by the given 
subpopulation. The third column shows the average change in payment for 
facilities in a given subpopulation, represented as a percentage change 
from payments made for that subpopulation under RUG-IV versus those 
which would be made under the RCS-I model under consideration. Positive 
changes in this column represent a projected positive shift in payments 
for that subpopulation under the RCS-I model under consideration, while 
negative changes in this column represent projected negative shifts in 
payment for that subpopulation. More information on the construction of 
current payments under RUG-IV and payments under the RCS-I model for 
purposes of this impact analysis can be found in section 3.13 of the 
SNF PMR Technical Report available at https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/SNFPPS/therapyresearch.html. Based on 
the data presented in Table 19, we observe that the most significant 
shift in Medicare payments created by implementation of the RCS-I case-
mix model would be from facilities with a high proportion of 
rehabilitation residents (more specifically, facilities with high 
proportions of Ultra-High Rehabilitation residents), to facilities with 
high proportions of non-rehabilitation residents. Other facility types 
that may see higher relative payments under the RCS-I system that we 
describe here are small facilities, non-profit facilities, government-
owned facilities, and hospital-based and swing-bed facilities.

             Table 19--RCS-I Impact Analysis, Facility-Level
------------------------------------------------------------------------
                                            Percent of        Percent
        Provider characteristics             providers        change
------------------------------------------------------------------------
All stays...............................           100.0             0.0
Institution type:
    Freestanding........................            95.0            -0.5
    Hospital-Based/Swing Bed............             5.0            15.8
Ownership:
    For-profit..........................            71.2            -1.1
    Non-profit..........................            23.9             3.1
    Government..........................             5.0             7.6
Location:
    Urban...............................            70.6            -0.8
    Rural...............................            29.4             3.7
Bed Size:
    0-49................................            11.2             6.7
    50-99...............................            37.1             0.3
    100-149.............................            34.3            -0.6
    150-199.............................            11.2            -0.5
    200+................................             6.1            -0.7
Census division:

[[Page 21012]]

 
    New England.........................             6.2             2.1
    Middle Atlantic.....................            11.2            -1.3
    East North Central..................            19.9             0.2
    West North Central..................            12.8             6.9
    South Atlantic......................            15.4            -0.8
    East South Central..................             6.6             1.0
    West South Central..................            13.2            -1.5
    Mountain............................             4.7             0.9
    Pacific.............................            10.1            -1.3
% of Stays with 100 Utilization Days:
    0-10%...............................            90.4             0.3
    10-25%..............................             8.6            -3.2
    25-100%.............................             1.0            -3.9
% of Stays with Medicare/Medicaid Dual
 Enrollment:
    0-10%...............................             8.4            -1.7
    10-2%...............................            17.2            -0.7
    25-50%..............................            35.5             0.6
    50-75%..............................            26.5             0.8
    75-90%..............................             8.5            -0.4
    90-100%.............................             3.8            -0.5
% of Utilization Days Billed as RU:
    0-10%...............................            12.5            28.4
    10-25%..............................             9.8            13.6
    25-50%..............................            25.5             5.6
    50-75%..............................            37.2            -1.9
    75-90%..............................            13.0            -7.1
    90-100%.............................             2.1            -9.9
 % of Utilization Days Billed as Non-
 Rehabilitation:
    0-10%...............................            70.4            -2.2
    10-25%..............................            23.2             6.3
    25-50%..............................             4.6            20.2
    50-75%..............................             1.0            45.6
    75-90%..............................             0.2            44.8
    90-100%.............................             0.7            38.4
------------------------------------------------------------------------

    In addition to the impacts discussed throughout this section, we 
would also note that we expect a significant reduction in regulatory 
burden under the SNF PPS, due to the changes we are considering in the 
MDS assessment schedule, as discussed above in section III.C.1 of this 
ANPRM. We invite comments on the impact analysis presented here.

IV. Collection of Information Requirements

    This ANPRM solicits comment on several options pertaining to the 
SNF PPS payment methodology. Since it does not propose any new or 
revised information collection requirements or burden, it need not be 
reviewed by the Office of Management and Budget (OMB) under the 
authority of the Paperwork Reduction Act of 1995 (44 U.S.C. 3501 et 
seq.). Should the outcome of the ANPRM result in any new or revised 
information collection requirements or burden, the requirements and 
burden will be submitted to OMB for approval. Interested parties will 
also be provided an opportunity to comment on such information through 
subsequent proposed and final rulemaking documents.

V. 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 review all comments we receive by 
the date and time specified in the DATES section of this preamble, as 
we continue to consider the model presented in this ANPRM.

    Dated: April 21, 2017.
Seema Verma
Administrator, Centers for Medicare & Medicaid Services.
    Dated: April 21, 2017.
Thomas E. Price
Secretary, Department of Health and Human Services.
[FR Doc. 2017-08519 Filed 4-27-17; 4:15 pm]
BILLING CODE 4120-01-P



                                                  20980                     Federal Register / Vol. 82, No. 85 / Thursday, May 4, 2017 / Proposed Rules

                                                  DEPARTMENT OF HEALTH AND                                   Please allow sufficient time for mailed            they are received, generally beginning
                                                  HUMAN SERVICES                                          comments to be received before the                    approximately 3 weeks after publication
                                                                                                          close of the comment period.                          of a document, at the headquarters of
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                                                                                                          following address ONLY: Centers for                   Baltimore, Maryland 21244, Monday
                                                  42 CFR Parts 409 and 488                                Medicare & Medicaid Services,                         through Friday of each week from 8:30
                                                                                                          Department of Health and Human                        a.m. to 4 p.m. To schedule an
                                                  [CMS–1686–ANPRM]
                                                                                                          Services, Attention: CMS–1686–                        appointment to view public comments,
                                                  RIN 0938–AT17                                           ANPRM, Mail Stop C4–26–05, 7500                       phone 1–800–743–3951.
                                                                                                          Security Boulevard, Baltimore, MD                       To assist readers in referencing
                                                  Medicare Program; Prospective                           21244–1850.                                           sections contained in this document, we
                                                  Payment System and Consolidated                            4. By hand or courier. If you prefer,              are providing the following Table of
                                                  Billing for Skilled Nursing Facilities:                 you may deliver (by hand or courier)                  Contents.
                                                  Revisions to Case-Mix Methodology                       your written comments before the close
                                                                                                          of the comment period to either of the                Table of Contents
                                                  AGENCY: Centers for Medicare &
                                                  Medicaid Services (CMS), HHS.                           following addresses:                                  I. Executive Summary
                                                                                                             a. Centers for Medicare & Medicaid                    A. Purpose
                                                  ACTION: Advance notice of proposed                      Services, Department of Health and                       B. Summary of Major Provisions
                                                  rulemaking with comment.                                Human Services, Room 445–G, Hubert                    II. Background
                                                                                                          H. Humphrey Building, 200                                A. Issues Relating to the Current Case Mix
                                                  SUMMARY:   We are issuing this advance                                                                              System for Payment of Skilled Nursing
                                                  notice of proposed rulemaking                           Independence Avenue SW.,
                                                                                                                                                                      Facility Services Under Part A of the
                                                  (ANPRM) to solicit public comments on                   Washington, DC 20201.                                       Medicare Program
                                                                                                             (Because access to the interior of the                B. Summary of the Skilled Nursing Facility
                                                  potential options we may consider for
                                                                                                          Hubert H. Humphrey Building is not                          Payment Models Research Project
                                                  revising certain aspects of the existing
                                                                                                          readily available to persons without                  III. Potential Revisions to SNF PPS Payment
                                                  skilled nursing facility (SNF)
                                                                                                          Federal Government identification,                          Methodology
                                                  prospective payment system (PPS)                                                                                 A. Revisions to SNF PPS Base Federal
                                                                                                          commenters are encouraged to leave
                                                  payment methodology to improve its                      their comments in the CMS drop slots                        Payment Rate Components
                                                  accuracy, based on the results of our                   located in the main lobby of the                         1. Background on SNF PPS Federal Base
                                                  SNF Payment Models Research (SNF                        building. A stamp-in clock is available                     Payment Rates and Components
                                                  PMR) project. In particular, we are                                                                              2. Data Sources Utilized for Revision of
                                                                                                          for persons wishing to retain a proof of                    Federal Base Payment Rate Components
                                                  seeking comments on the possibility of                  filing by stamping in and retaining an
                                                  replacing the SNF PPS’ existing case-                                                                            3. Methodology Used for the Calculation of
                                                                                                          extra copy of the comments being filed.)                    Revised Federal Base Payment Rate
                                                  mix classification model, the Resource                     b. Centers for Medicare & Medicaid                       Components
                                                  Utilization Groups, Version 4 (RUG–IV),                 Services, Department of Health and                       4. Updates and Wage Adjustments of
                                                  with a new model, the Resident                          Human Services, 7500 Security                               Revised Federal Base Payment Rate
                                                  Classification System, Version I (RCS–I).               Boulevard, Baltimore, MD 21244–1850.                        Components
                                                  We also discuss options for how such a                     If you intend to deliver your                         B. Potential Design and Methodology for
                                                  change could be implemented, as well                    comments to the Baltimore address,                          Case-Mix Adjustment of Federal Rates
                                                  as a number of other policy changes we                                                                           1. Background on Resident Classification
                                                                                                          please call telephone number (410) 786–                     System, Version I
                                                  may consider to complement                              7195 in advance to schedule your                         2. Data Sources Utilized for Developing
                                                  implementation of RCS–I.                                arrival with one of our staff members.                      RCS–I
                                                  DATES: To be assured consideration,                        Comments mailed to the addresses                      a. Medicare Enrollment Data
                                                  comments must be received at one of                     indicated as appropriate for hand or                     b. Medicare Claims Data
                                                  the addresses provided below, no later                  courier delivery may be delayed and                      c. Assessment Data
                                                  than 5 p.m. on June 26, 2017.                           received after the comment period.                       d. Facility Data
                                                                                                             For information on viewing public                     3. Resident Classification Under RCS–I
                                                  ADDRESSES: In commenting, please refer
                                                                                                          comments, see the beginning of the                       a. Background
                                                  to file code CMS–1686–ANPRM.                                                                                     b. Physical and Occupational Therapy
                                                  Because of staff and resource                           SUPPLEMENTARY INFORMATION section.
                                                                                                                                                                      Case-Mix Classification
                                                  limitations, we cannot accept comments                  FOR FURTHER INFORMATION CONTACT: John                    c. Speech-Language Pathology Case-Mix
                                                  by facsimile (FAX) transmission.                        Kane, (410) 786–0557.                                       Classification
                                                    You may submit comments in one of                     SUPPLEMENTARY INFORMATION: Inspection                    d. Nursing Case-Mix Classification
                                                  four ways (please choose only one of the                of Public Comments: All comments                         e. Non-Therapy Ancillary Case-Mix
                                                  ways listed):                                           received before the close of the                            Classification
                                                    1. Electronically. You may submit                                                                              f. Payment Classifications under RCS–I
                                                                                                          comment period are available for
                                                                                                                                                                   4. Variable Per Diem Adjustment Factors
                                                  electronic comments on this regulation                  viewing by the public, including any                        and Payment Schedule
                                                  to http://www.regulations.gov. Within                   personally identifiable or confidential                  C. Use of the Resident Assessment
                                                  the search bar, enter the Regulation                    business information that is included in                    Instrument—Minimum Data Set, Version
                                                  Identifier Number associated with this                  a comment. We post all comments                             3
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                                                  regulation, 0938–AT17, and then click                   received before the close of the                         1. Potential Revisions to Minimum Data
                                                  on the ‘‘Comment Now’’ box.                             comment period on the following Web                         Set (MDS) Completion Schedule
                                                    2. By regular mail. You may mail                      site as soon as possible after they have                 2. Potential Revisions to Therapy Provision
                                                  written comments to the following                                                                                   Policies Under the SNF PPS
                                                                                                          been received: http://
                                                                                                                                                                   3. Interrupted Stay Policy
                                                  address ONLY: Centers for Medicare &                    www.regulations.gov. Follow the search                   D. Relationship of RCS–I to Existing
                                                  Medicaid Services, Department of                        instructions on that Web site to view                       Skilled Nursing Facility Level of Care
                                                  Health and Human Services, Attention:                   public comments.                                            Criteria
                                                  CMS–1686–ANPRM, P.O. Box 8016,                             Comments received timely will also                    E. Effect of RCS–I on Temporary AIDS
                                                  Baltimore, MD 21244–8016.                               be available for public inspection as                       Add-on Payment



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                                                                            Federal Register / Vol. 82, No. 85 / Thursday, May 4, 2017 / Proposed Rules                                          20981

                                                    F. Potential Impacts of Implementing RCS–             certain aspects of the existing SNF PPS               for each component. Finally, we also
                                                       I                                                  payment methodology, to improve its                   discuss and solicit public comments on
                                                  IV. Collection of Information Requirements              accuracy, based on the results of the                 other potential policy changes,
                                                  V. Response to Comments
                                                                                                          SNF PMR project. In particular, we are                developed under the SMF PMR project,
                                                  Acronyms                                                seeking comments on the possibility of                to the SNF PPS payment methodology.
                                                    In addition, because of the many                      replacing the SNF PPS’ existing case-
                                                                                                                                                                II. Background
                                                  terms to which we refer by acronym in                   mix classification model, RUG–IV, with
                                                  this ANPRM, we are listing these                        the RCS–I case mix model developed                    A. Issues Relating to the Current Case-
                                                                                                          during the SNF PMR project. We also                   Mix System for Payment of Skilled
                                                  abbreviations and their corresponding
                                                                                                          discuss and seek comment on options                   Nursing Facility Services Under Part A
                                                  terms in alphabetical order below:
                                                                                                          for how such a change could be                        of the Medicare Program
                                                  AIDS Acquired Immune Deficiency                         implemented, as well as a number of
                                                    Syndrome                                                                                                      Section 1888(e)(4)(G)(i) of the Act
                                                                                                          other policy changes we may consider                  requires the Secretary to make an
                                                  ARD Assessment reference date
                                                                                                          to complement implementation of RCS–                  adjustment to the per diem rates to
                                                  BBRA Medicare, Medicaid, and SCHIP
                                                    Balanced Budget Refinement Act of 1999,               I. We would note that we intend to                    account for case-mix. The statute
                                                    Public Law 106–113                                    propose case-mix refinements in the FY                specifies that the adjustment is to be
                                                  CASPER Certification and Survey Provider                2019 SNF PPS proposed rule, and this                  based on both a resident classification
                                                    Enhanced Reporting                                    ANPRM serves to solicit comments on                   system that the Secretary establishes
                                                  CCN CMS Certification Number                            potential revisions we are considering
                                                  CFR Code of Federal Regulations                                                                               that accounts for the relative resource
                                                                                                          proposing in such rulemaking.
                                                  CMI Case-mix index                                                                                            use of different resident types, as well
                                                  CMS Centers for Medicare & Medicaid                     B. Summary of Major Provisions                        as resident assessment and other data
                                                    Services                                                In section II of this ANPRM, we                     that the Secretary considers appropriate.
                                                  FR Federal Register                                     discuss the current SNF PPS,                            In general, the case-mix classification
                                                  FY Fiscal year
                                                                                                          specifically the RUG–IV case-mix                      system currently used under the SNF
                                                  ICD–10–CM International Classification of                                                                     PPS classifies residents into payment
                                                    Diseases, 10th Revision, Clinical                     classification methodology that is used
                                                                                                          to assign SNF Part A residents to                     classification groups, called RUGs,
                                                    Modification                                                                                                based on various resident characteristics
                                                  IPPS Inpatient prospective payment system               payment groups that reflect varying
                                                                                                          levels of resource intensity. We also                 and the type and intensity of therapy
                                                  IRF Inpatient Rehabilitation Facility
                                                  IRF–PAI Inpatient Rehabilitation Facility               discuss issues with the current system                services provided to the resident. Each
                                                    Patient Assessment Instrument                         which prompted CMS to consider                        RUG is assigned a set of case-mix
                                                  LTCH Long-term care hospital                            potential revisions to the existing case-             indexes (CMIs) that reflect relative
                                                  MDS Minimum data set                                    mix methodology. Finally, we discuss                  differences in cost and resource
                                                  MMA Medicare Prescription Drug,                         the SNF PMR project, which was                        intensity for each case-mix adjusted
                                                    Improvement, and Modernization Act of                                                                       component. The higher the CMI, the
                                                                                                          intended to develop a replacement for
                                                    2003, Public Law 108–173                                                                                    higher the expected resource utilization
                                                  NF Nursing facility                                     the RUG–IV case-mix classification
                                                                                                          model within our current statutory                    and cost associated with that resident’s
                                                  NTA Non-therapy ancillary
                                                                                                          authority.                                            care. Under the existing SNF PPS
                                                  OASIS Outcome and Assessment
                                                    Information Set                                         In section III. of this ANPRM, we                   methodology, there are two case-mix
                                                  OMB Office of Management and Budget                     discuss the case-mix model that could                 components. The nursing component
                                                  PAC Post-acute care                                     serve to replace RUG–IV, which is the                 reflects relative differences in a
                                                  PPS Prospective Payment System                          RCS–I model. We begin by discussing                   resident’s associated nursing and non-
                                                  QIES Quality Improvement and Evaluation                 the revised base rate structure that                  therapy ancillary (NTA) costs, based on
                                                    System                                                would be used under RCS–I, based on                   various resident characteristics, such as
                                                  QIES ASAP Quality Improvement and                       certain changes to the existing SNF PPS               resident comorbidities, and treatments.
                                                    Evaluation System Assessment Submission                                                                     The therapy component reflects relative
                                                                                                          case-mix adjusted components that we
                                                    and Processing
                                                                                                          are considering, based on the findings                differences in a resident’s associated
                                                  RAI Resident assessment instrument
                                                  RCS–I Resident Classification System,                   from the SNF PMR project. Similar to                  therapy costs, which is based on a
                                                    Version I                                             the current system, RUG–IV, the revised               combination of PT, OT, and SLP
                                                  RFA Regulatory Flexibility Act, Public Law              model, the RCS–I, would case-mix                      services. Resident classification under
                                                    96–354                                                adjust for the following major cost                   the existing therapy component is based
                                                  RIA Regulatory impact analysis                          categories: Physical therapy (PT),                    primarily on the amount of therapy the
                                                  RUG–III Resource Utilization Groups,                    occupational therapy (OT), speech-                    SNF chooses to provide to a SNF
                                                    Version 3                                             language pathology (SLP) services,                    resident. Under the RUG–IV model,
                                                  RUG–IV Resource Utilization Groups,                     nursing services and non-therapy                      residents are classified into
                                                    Version 4
                                                                                                          ancillaries (NTAs). However, where                    rehabilitation groups, where payment is
                                                  RUG–53 Refined 53-Group RUG–III Case-
                                                    Mix Classification System                             RUG–IV consists of two case-mix                       determined primarily based on the
                                                  SNF Skilled nursing facility                            adjusted components (therapy and                      intensity of therapy services received by
                                                  SNF PMR Skilled Nursing Facility Payment                nursing), the RCS–I would create four                 the resident, and into nursing groups,
                                                    Models Research                                       (PT/OT, SLP, nursing, and NTA) for a                  based on the intensity of nursing
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                                                  STM Staff time measurement                              more resident-centered case-mix                       services received by the resident and
                                                  STRIVE Staff time and resource intensity                adjustment. We then discuss each of the               other aspects of the resident’s care and
                                                    verification                                          potential case-mix adjusted components                condition. However, only the higher
                                                  TEP Technical expert panel                              under the RCS–I model, including how                  paying of these groups is used for
                                                  I. Executive Summary                                    residents would be classified under                   payment purposes. For example, if a
                                                                                                          each case-mix component and the                       resident is classified into a both the
                                                  A. Purpose                                              resident-characteristics that our research            RUA (Rehabilitation) and PA1 (Nursing)
                                                    This ANPRM solicits comments on                       indicates could serve as appropriate                  RUG–IV groups, where RUA has a
                                                  options we may consider for revising                    predictors of varying resource intensity              higher per-diem payment rate than PA1,


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                                                  20982                     Federal Register / Vol. 82, No. 85 / Thursday, May 4, 2017 / Proposed Rules

                                                  the RUA group is used for payment                       about underutilization of services in                    With regard to the comment which
                                                  purposes. It should be noted that the                   previously considered models, we have                 highlighted potential explanatory factors for
                                                  vast majority of Part A covered SNF                     witnessed a significant trend that has                the observed trends, such as internal pressure
                                                  days (over 90 percent) are paid using a                 caused us to reconsider these concerns.               within SNFs that would override clinical
                                                                                                                                                                judgment, we find these potential
                                                  rehabilitation RUG. A variety of                        More specifically, as discussed in                    explanatory factors troubling and entirely
                                                  concerns have been raised with the                      section V.E. of the FY 2015 SNF PPS                   inconsistent with the intended use of the
                                                  current SNF PPS, specifically the RUG–                  proposed rule (79 FR 25767), we                       SNF benefit. Specifically, the minimum
                                                  IV model, which we discuss below.                       documented and discussed trends                       therapy minute thresholds for each therapy
                                                     When the SNF PPS was first                           observed in therapy utilization in a                  RUG category are certainly not intended as
                                                  implemented (63 FR 26252), we                           memo entitled ‘‘Observations on                       ceilings or targets for therapy provision. As
                                                  developed the RUG–III case-mix                          Therapy Utilization Trends’’ (which                   discussed in Chapter 8, Section 30 of the
                                                  classification model, which tied the                    may be accessed at https://                           Medicare Benefit Policy Manual (Pub. 100–
                                                  amount of payment to resident resource                  www.cms.gov/Medicare/Medicare-Fee-                    02), to be covered, the services provided to
                                                  use in combination with resident                                                                              a SNF resident must be ‘‘reasonable and
                                                                                                          for-Service-Payment/SNFPPS/                           necessary for the treatment of a patient’s
                                                  characteristic information. Staff time                  Downloads/Therapy_Trends_Memo_                        illness or injury, that is, are consistent with
                                                  measurement (STM) studies conducted                     04212014.pdf). The two most notable                   the nature and severity of the individual’s
                                                  in 1990, 1995, and 1997 provided                        trends discussed in that memo were that               illness or injury, the individual’s particular
                                                  information on resource use (time spent                 the percentage of residents classifying               medical needs, and accepted standards of
                                                  by staff members on residents) and                      into the Ultra-High therapy category has              medical practice.’’ (emphasis added)
                                                  resident characteristics that enabled us                increased steadily and, of greater                    Therefore, services which are not specifically
                                                  not only to establish RUG–III, but also                 concern, that the percentage of residents             tailored to meet the individualized needs and
                                                  to create CMIs. This initial RUG–III                    receiving just enough therapy to surpass              goals of the resident, based on the resident’s
                                                  model was refined by changes finalized                                                                        condition and the evaluation and judgment
                                                                                                          the Ultra-High and Very-High therapy                  of the resident’s clinicians, may not meet this
                                                  in the FY 2006 SNF PPS final rule (70                   thresholds has also increased. In that
                                                  FR 45032), which included adding nine                                                                         aspect of the definition for covered SNF care,
                                                                                                          memo, we state ‘‘the percentage of                    and we believe that internal provider rules
                                                  case-mix groups to the top of the                       claims-matched MDS assessments in the                 should not seek to circumvent the Medicare
                                                  original 44-group RUG–III hierarchy,                    range of 720 minutes to 739 minutes,                  statute, regulations and policies, or the
                                                  which created the RUG–53 case-mix                       which is just enough to surpass the 720               professional judgment of clinicians. (79 FR
                                                  model.                                                  minute threshold for RU groups, has                   45651 through 45652)
                                                     In the FY 2010 SNF PPS proposed                      increased from 5 percent in FY 2005 to
                                                  rule (74 FR 22208), we proposed a                                                                                In addition to this discussion of
                                                                                                          33 percent in FY 2013’’ and this trend                observed trends, others have also
                                                  revised RUG–IV model based on, among                    has continued since that time. While it
                                                  other reasons, concerns that incentives                                                                       identified potential areas of concern
                                                                                                          might be possible to attribute the                    within the current SNF PPS. The two
                                                  in the SNF PPS had changed the relative
                                                                                                          increasing share of residents in the                  most notable sources are the Office of
                                                  amount of nursing resources required to
                                                                                                          Ultra-High therapy category to                        the Inspector General (OIG) and the
                                                  treat SNF residents (74 FR 22220).
                                                                                                          increasing acuity within the SNF                      Medicare Payment Advisory
                                                  These concerns led us to conduct a new
                                                                                                          population, we believe the increase in                Commission (MedPAC).
                                                  Staff Time Measurement (STM) study,
                                                                                                          ‘‘thresholding’’ (that is, of providing just             With regard to the OIG, three recent
                                                  the Staff Time and Resource Intensity
                                                                                                          enough therapy for residents to surpass               OIG reports describe the OIG’s concerns
                                                  Verification (STRIVE) project, which
                                                                                                          the relevant therapy thresholds) is a                 with the current SNF PPS. In December
                                                  served as the basis for developing the
                                                                                                          strong indication of service provision                2010, the OIG released a report entitled
                                                  current SNF PPS case-mix classification
                                                  model, RUG–IV, which became effective                   predicated on financial considerations                ‘‘Questionable Billing by Skilled
                                                  in FY 2011. At that time, we considered                 rather than resident need. We discussed               Nursing Facilities’’ (which may be
                                                  alternative case mix models, including                  this issue in response to comments in                 accessed at https://oig.hhs.gov/oei/
                                                  predictive models of therapy payment                    the FY 2015 SNF PPS final rule, where,                reports/oei-02-09-00202.pdf). In this
                                                  based on resident characteristics;                      in response to comments regarding the                 report, among its findings, the OIG
                                                  however, we had a ‘‘great deal of                       lack of ‘‘current medical evidence                    found that ‘‘from 2006 to 2008, SNFs
                                                  concern that by separating payment                      related to how much therapy a given                   increasingly billed for higher paying
                                                  from the actual provision of services,                  resident should receive,’’ we stated the              RUGs, even though beneficiary
                                                  the system, and more importantly, the                   following:                                            characteristics remained largely
                                                  beneficiaries would be vulnerable to                       With regard to the comments which                  unchanged’’ (OEI–02–09–00202, ii), and
                                                  underutilization.’’ (74 FR 22220). Other                highlight the lack of existing medical                among other things, recommended that
                                                  options considered at the time included                 evidence for how much therapy a given                 we should ‘‘consider several options to
                                                  a non-therapy ancillary (NTA) payment                   resident should receive, we would note that           ensure that the amount of therapy paid
                                                  model based on resident characteristics                 . . . the number of therapy minutes provided          for by Medicare accurately reflects
                                                  (74 FR 22238) and a DRG-based                           to SNF residents within certain therapy RUG           beneficiaries’ needs’’ (OEI–02–09–
                                                  payment model that relied on                            categories is, in fact, clustered around the          00202, iii). Further, in November 2012,
                                                  information from the prior inpatient                    minimum thresholds for a given therapy RUG            the OIG released a report entitled
                                                                                                          category. However, given the comments                 ‘‘Inappropriate Payments to Skilled
                                                  stay (74 FR 22220); these and other
                                                                                                          highlighting the lack of medical evidence
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                                                  options are discussed in detail in a CMS                                                                      Nursing Facilities Cost Medicare More
                                                                                                          related to the appropriate amount of therapy
                                                  Report to Congress issued in December                                                                         Than a Billion Dollars in 2009’’ (which
                                                                                                          in a given situation, it is all the more
                                                  2006 (available at https://www.cms.gov/                 concerning that practice patterns would
                                                                                                                                                                may be accessed at https://oig.hhs.gov/
                                                  Medicare/Medicare-Fee-for-Service-                      appear to be as homogenized as the data               oei/reports/oei-02-09-00200.pdf). In this
                                                  Payment/SNFPPS/Downloads/RC_                            would suggest. (79 FR 45651)                          report, the OIG found that ‘‘SNFs billed
                                                  2006_PC-PPSSNF.pdf).                                                                                          one-quarter of all claims in error in
                                                     In the years since we implemented                       In response to comments related to                 2009’’ and that the ‘‘majority of the
                                                  the SNF PPS, finalized RUG–IV, and                      factors which may explain the observed                claims in error were upcoded; many of
                                                  made statements regarding our concerns                  trends, we stated the following:                      these claims were for ultrahigh


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                                                                            Federal Register / Vol. 82, No. 85 / Thursday, May 4, 2017 / Proposed Rules                                           20983

                                                  therapy.’’ (OEI–02–09–00200, Executive                  providers may be basing service                       revisions we discuss in this ANPRM, are
                                                  Summary). Among its                                     provision on financial reasons rather                 revisions to the SNF PPS to address
                                                  recommendations, the OIG stated that                    than resident need), the issues raised in             longstanding concerns regarding the
                                                  ‘‘the findings of this report provide                   the OIG reports discussed above, and                  ability of the RUG–IV system to account
                                                  further evidence that CMS needs to                      the issues raised by MedPAC, has                      for variation in nursing and NTA
                                                  change how it pays for therapy’’ (OEI–                  caused us to consider significant                     services, as described in sections
                                                  02–09–00200, 15). Finally, in September                 revisions to the existing SNF PPS, in                 III.D.3.d and III.D.3.e. of this ANPRM.
                                                  2015, the OIG released a report entitled                keeping with our overall responsibility                  In the sections that follow, we solicit
                                                  ‘‘The Medicare Payment System for                       to ensure that payments under the SNF                 comments on comprehensive revisions
                                                  Skilled Nursing Facilities Needs to be                  PPS accurately reflect both resident                  to the current SNF PPS case-mix
                                                  Reevaluated’’ (which may be accessed at                 needs and resource utilization.                       classification system. Specifically, we
                                                  https://oig.hhs.gov/oei/reports/oei-02-                    Under the RUG–IV system, therapy                   discuss a potential alternative to the
                                                  13-00610.pdf). Among its findings, the                  service provision determines not only                 existing RUG–IV, called RCS–I, which
                                                  OIG found that ‘‘Medicare payments for                  therapy payments, but also nursing                    we are considering. We solicit comment
                                                  therapy greatly exceed SNFs’ costs for                  payments. This is because, as noted                   on the extent to which RCS–I addresses
                                                  therapy,’’ further noting that ‘‘the                    above, only one of a resident’s assigned              the issues we outline above. As further
                                                  difference between Medicare payments                    RUG groups, rehabilitation or nursing, is             discussed below, we believe that the
                                                  and SNFs’ costs for therapy, combined                   used for payment purposes. Each                       RCS–I model represents an
                                                  with the current payment method,                        rehabilitation group is assigned a                    improvement over the RUG–IV model
                                                  creates an incentive for SNFs to bill for               nursing CMI to reflect relative                       because it would better account for
                                                  higher levels of therapy than necessary’’               differences in nursing costs for residents            resident characteristics and care needs,
                                                  (OEI–02–13–00610, 7). Among its                         in those rehabilitation groups, which is              thus better aligning SNF PPS payments
                                                  recommendations, the OIG stated that                    less specifically tailored to the                     with resource use and eliminating
                                                  CMS should ‘‘change the method of                       individual nursing costs for a given                  therapy provision-related financial
                                                  paying for therapy,’’ further stating that              resident than the nursing CMIs assigned               incentives inherent in the current
                                                  ‘‘CMS should accelerate its efforts to                  for the nursing RUGs. Given that, as                  payment model used in the SNF PPS.
                                                  develop and implement a new method                      mentioned above, most resident days                   To better ensure that resident care
                                                  of paying for therapy that relies on                    are paid using a rehabilitation RUG, and              decisions appropriately reflect each
                                                  beneficiary characteristics or care                     since assignment into a rehabilitation                resident’s actual care needs, we believe
                                                  needs.’’ (OEI–02–13–00610, 12).                         RUG is based on therapy service                       it is important to remove, to the extent
                                                     With regard to MedPAC’s                              provision, this means that therapy                    possible, service-based metrics from the
                                                  recommendations in this area, Chapter 8                 service provision effectively determines              SNF PPS and derive payment from
                                                  of MedPAC’s March 2017 Report to                        nursing payments for those residents                  objective resident characteristics.
                                                  Congress (available at http://                          who are assigned to a rehabilitation                  B. Summary of the Skilled Nursing
                                                  www.medpac.gov/docs/default-source/                     RUG. Thus, we believe any attempts to                 Facility Payment Models Research
                                                  reports/mar17_medpac_ch8.pdf)                           revise the SNF PPS payment                            Project
                                                  includes the following recommendation:                  methodology to better account for
                                                  ‘‘The Congress should . . . direct the                  therapy service provision under the SNF                  As noted above, since 1998, Medicare
                                                  Secretary to revise the prospective                     PPS would need to be comprehensive                    Part A has paid for SNF services on a
                                                  payment system (PPS) for skilled                        and affect both the therapy and nursing               per diem basis through the SNF PPS.
                                                  nursing facilities’’ and ‘‘. . . make any               case-mix components. Moreover, in the                 Currently, therapy payments under the
                                                  additional adjustments to payments                      FY 2015 SNF PPS final rule, in response               SNF PPS are based primarily on the
                                                  needed to more closely align payment                    to comments regarding access for certain              amount of therapy furnished to a
                                                  with costs.’’ (March 2017 MedPAC                        ‘‘specialty’’ populations (such as those              patient, regardless of that patient’s
                                                  Report to Congress, 220). This                          with complex nursing needs), we stated                specific characteristics and care needs.
                                                  recommendation is seemingly                             the following:                                        Beginning in 2013, we contracted with
                                                  predicated on MedPAC’s own analysis                                                                           Acumen, LLC to identify potential
                                                                                                            With regard to the comment on specialty             alternatives to the existing methodology
                                                  of the current SNF PPS, where they state                populations, we agree with the commenter
                                                  that ‘‘almost since its inception the SNF               that access must be preserved for all
                                                                                                                                                                used to pay for services under the SNF
                                                  PPS has been criticized for encouraging                 categories of SNF residents, particularly             PPS. The recommendations developed
                                                  the provision of excessive rehabilitation               those with complex medical and nursing                under this contract, entitled the SNF
                                                  therapy services and not accurately                     needs. As appropriate, we will examine our            PMR project, form the basis of the ideas
                                                  targeting payments for nontherapy                       current monitoring efforts to identify any            contained in the sections below.
                                                  ancillaries’’ (March 2017 MedPAC                        revisions which may be necessary to account              The SNF PMR operated in three
                                                  Report to Congress, 202). Finally, with                 appropriately for these populations. (79 FR           phases. In the first phase of the project,
                                                                                                          45651)                                                which focused exclusively on therapy
                                                  regard to the possibility of changing the
                                                  existing SNF payment system, MedPAC                        In addition, MedPAC, in their March                payment issues, Acumen reviewed past
                                                  stated that ‘‘since 2015, [CMS] has                     2017 Report to Congress, stated that                  research studies and policy issues
                                                  gathered four expert panels to receive                  they have previously recommended that                 related to SNF PPS therapy payment
                                                  input on aspects of possible design                     we revise the current SNF PPS to ‘‘base               and options for improving or replacing
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                                                  features before it proposes a revised                   therapy payments on patient                           the current therapy payment
                                                  PPS’’ and further that ‘‘the designs                    characteristics (not service provision),              methodology. After consideration of
                                                  under consideration are consistent with                 remove payments for NTA services from                 multiple potential alternatives, such as
                                                  those recommended by the                                the nursing component, [and] establish                competitive bidding and a hybrid model
                                                  Commission’’ (March 2017 MedPAC                         a separate component within the PPS                   combining resource-based pricing (for
                                                  Report to Congress, 203).                               that adjusts payments for NTA services’’              example, how therapy payments are
                                                     The combination of the observed                      (March 2017 MedPAC Report to                          made under the current SNF PPS) with
                                                  trends in the current SNF PPS discussed                 Congress, 202). Accordingly, we note                  resident characteristics, we identified a
                                                  above (which strongly suggest that                      that included among the potential                     model that relies on resident


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                                                  20984                     Federal Register / Vol. 82, No. 85 / Thursday, May 4, 2017 / Proposed Rules

                                                  characteristics rather than the amount of               available at https://www.cms.gov/                     implemented. Finally, we are soliciting
                                                  therapy received as the most                            Medicare/Medicare-Fee-for-Service-                    public comment on other potential
                                                  appropriate replacement for the existing                Payment/SNFPPS/                                       issues CMS should consider in
                                                  therapy payment model. As stated                        therapyresearch.html.                                 implementing revisions to the current
                                                  above, we believe that relying on                          In the final phase of the contract,                SNF PPS, such as potential effects on
                                                  resident characteristics would improve                  which is ongoing, we tasked Acumen to                 state Medicaid programs, potential
                                                  the resident-centeredness of the model                  assist in developing supporting                       behavioral changes, and the type of
                                                  and discourage resident care decisions                  language and documentation, most                      education and training that would be
                                                  predicated on service-based financial                   notably a technical report, related to the            necessary to implement successfully
                                                  incentives. A report summarizing                        alternative SNF PPS case-mix                          any changes to the SNF PPS.
                                                  Acumen’s activities and                                 classification model we are considering,                 In the sections below, we outline each
                                                  recommendations during the first phase                  which we have named the RCS–I.                        aspect of the RCS–I case-mix
                                                  of the SNF PMR contract, the SNF                           This ANPRM solicits comments on                    classification model we are considering,
                                                  Therapy Payment Models Base Year                        the issues with the current SNF PPS,                  as well as additional revisions to the
                                                  Final Summary Report, is available at                   and what steps should be taken to refine              SNF PPS which may be considered
                                                  https://www.cms.gov/Medicare/                           the existing SNF PPS in response to                   along with potential implementation of
                                                  Medicare-Fee-for-Service-Payment/                       those issues. In particular, in this                  the RCS–I classification model. We
                                                  SNFPPS/Downloads/Summary_Report_                        ANPRM, we discuss and are soliciting                  invite comments on any and all aspects
                                                  20140501.pdf.                                           comments regarding how we could                       of the RCS–I case-mix model, including
                                                     In the second phase of the project,                  replace the existing RUG–IV case-mix                  the research analyses described in this
                                                  Acumen used the findings from the Base                  classification model with a potential                 ANPRM and in the SNF PMR Technical
                                                  Year Final Summary Report as a guide                    alternative such as the RCS–I case-mix                Report (available at https://
                                                  to identify potential models suitable for               classification model. We solicit                      www.cms.gov/Medicare/Medicare-Fee-
                                                  further analysis. During this phase of                  comments on the adequacy and                          for-Service-Payment/SNFPPS/
                                                  the project, in an effort to establish a                appropriateness of the RCS–I case-mix                 therapyresearch.html), as well as on any
                                                  comprehensive approach to Medicare                      model to serve as a replacement for the               of the other considerations discussed in
                                                  Part A SNF payment reform, we                           RUG–IV model. Our goals in developing                 this ANPRM.
                                                  expanded the scope of the SNF PMR to                    a potential alternative are as follows:
                                                                                                             • To create a model that compensates               III. Potential Revisions to SNF PPS
                                                  encompass other aspects of the SNF PPS
                                                                                                          SNFs accurately based on the                          Payment Methodology
                                                  beyond therapy. Although we always
                                                  intended to ensure that any revisions                   complexity of the particular                          A. Revisions to SNF PPS Federal Base
                                                  specific to therapy payment would be                    beneficiaries they serve and the                      Payment Rate Components
                                                  considered as part of an integrated                     resources necessary in caring for those
                                                                                                          beneficiaries; and                                    1. Background on SNF PPS Federal Base
                                                  approach with the remaining payment
                                                                                                             • To address our concerns, along with              Payment Rates and Components
                                                  methodology, we felt it prudent to
                                                  examine potential improvements and                      those of OIG and MedPAC, about                           Section 1888(e)(4) of the Act requires
                                                  refinements to the overall SNF PPS                      current incentives for SNFs to deliver                that the SNF PPS per diem federal
                                                  payment system as well.                                 therapy to beneficiaries based on                     payment rates be based on FY 1995
                                                     During this phase of the SNF PMR,                    financial considerations, rather than the             costs, updated for inflation. These base
                                                  Acumen hosted four Technical Expert                     most effective course of treatment for                rates are then required to be adjusted to
                                                  Panels (TEPs), which brought together                   beneficiaries; and                                    reflect differences in patient case-mix.
                                                  industry experts, stakeholders, and                        • To maintain simplicity by, to the                In keeping with this statutory
                                                  clinicians with the research team to                    extent possible, limiting the number and              requirement, the base per diem payment
                                                  discuss different topics within the                     type of elements we use to determine                  rates were set in 1998 and reflect
                                                  overall analytic framework. In February                 case-mix, as well as limiting the number              average SNF costs in a base year (FY
                                                  2015, Acumen hosted a TEP to discuss                    of assessments necessary under the                    1995), updated for inflation to the first
                                                  questions and issues related to therapy                 payment system.                                       period of the SNF PPS, which was the
                                                  case-mix classification. In November                       We solicit comment on the goals                    15-month period beginning on July 1,
                                                  2015, Acumen hosted a second TEP                        outlined above and how effective the                  1998. The federal base payment rates
                                                  focused on questions and issues related                 RCS–I system we outline below is at                   were calculated separately for urban and
                                                  to nursing case-mix classification, as                  addressing those goals.                               rural facilities and based on allowable
                                                  well as to discuss issues related to                       In addition to the general discussion              costs from the FY 1995 cost reports of
                                                  payment for NTAs. In June 2016,                         of RCS–I, we also discuss and are                     hospital-based and freestanding SNFs,
                                                  Acumen hosted a third TEP to provide                    soliciting public comment on certain                  where allowable costs included all
                                                  stakeholders with an outline of a                       complementary policies that we believe                routine, ancillary, and capital-related
                                                  potential revised SNF PPS payment                       could also serve to improve the SNF                   costs (excluding those related to
                                                  structure, including new case-mix                       PPS. To provide commenters with an                    approved educational activities)
                                                  adjusted components and potential                       appropriate basis for comment on RCS–                 associated with SNF services provided
                                                  companion policies, such as variable                    I, we also discuss the potential impact               under Part A, and all services and items
                                                  per diem payment adjustments. Finally,                  to providers of implementing this type                for which payment could be made
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                                                  in October 2016, Acumen hosted a                        of model. We also solicit public                      under Part B prior to July 1, 1998.
                                                  fourth TEP, during which Acumen                         comment on certain logistical aspects of                 In general, routine costs are those
                                                  presented the case-mix components for                   implementing revisions to the current                 included by SNFs in a daily service
                                                  a potential revised SNF PPS, as well as                 SNF PPS, such as whether those                        charge and include regular room,
                                                  an initial impact analysis associated                   revisions should be implemented in a                  dietary, and nursing services, medical
                                                  with the potential revised SNF PPS                      budget neutral manner, and how much                   social services and psychiatric social
                                                  payment model. The presentation slides                  lead time providers and other                         services, as well as the use of certain
                                                  used during each of the TEPs, as well as                stakeholders should receive before any                facilities and equipment for which a
                                                  a summary report for each TEP, is                       finalized changes would be                            separate charge is not made. Ancillary


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                                                                            Federal Register / Vol. 82, No. 85 / Thursday, May 4, 2017 / Proposed Rules                                            20985

                                                  costs are directly identifiable to                      would be appropriate to continue using                as set forth in the 1998 interim final rule
                                                  residents and cover specialized services,               the non-case-mix component as it is                   with comment period (63 FR 26256).
                                                  including therapy, drugs, and laboratory                currently used.                                       Following the methodology used to
                                                  services. Lastly, capital-related costs                   In the next section, we discuss the                 derive the SNF PPS base rates, routine
                                                  include the costs of land, building, and                methodology we used to bifurcate the                  and ancillary costs from ‘‘as submitted’’
                                                  equipment and the interest incurred in                  federal base payment rates for each of                cost reports were adjusted down by 1.31
                                                  financing the acquisition of such items.                the two existing case-mix adjusted                    and 3.26 percent, respectively. As
                                                  (63 FR 26253)                                           components, as well as the data sources               discussed in the 1998 interim final rule
                                                     There are four federal base payment                  used in this calculation. The                         with comment period, the specific
                                                  rate components which may factor into                   methodology does not calculate new                    adjustment factors were chosen to
                                                  SNF PPS payment. Two of these                           federal base payment rates, but simply                reflect average adjustments resulting
                                                  components, ‘‘nursing case-mix’’ and                    splits the existing base rate case-mix                from cost report settlement and were
                                                  ‘‘therapy case-mix,’’ are case-mix                      components for therapy and nursing.                   based on a comparison of as-submitted
                                                  adjusted components, while the                          The methodology and data used in this
                                                                                                                                                                and settled reports from FY 1992 to FY
                                                  remaining two components, ‘‘therapy                     calculation are based on the data and
                                                                                                                                                                1994 (63 FR 26256); these adjustments
                                                  non-case-mix’’ and ‘‘non-case-mix,’’ are                methodology used in the calculation of
                                                                                                                                                                are in accordance with section
                                                  not case-mix adjusted. While we discuss                 the original federal payment rates in
                                                                                                          1998, as further discussed below.                     1888(e)(4)(A)(i) of the Act. We used
                                                  the details of the RCS–I payment model                                                                        similar data, exclusions, and
                                                  and justifications for certain associated               2. Data Sources Utilized for Revision of              adjustments as in the original base rates
                                                  policies we are considering in section                  Federal Base Payment Rate Components                  calculation so the resulting base rates
                                                  III.D. of this ANPRM, we note that, as                     Section II.A.2. of the interim final rule          for the components would resemble as
                                                  part of the RCS–I case-mix model under                  with comment period that initially                    closely as possible what they would
                                                  consideration, we would bifurcate both                  implemented the SNF PPS (63 FR 26256                  have been had they been established in
                                                  the ‘‘nursing case-mix’’ and ‘‘therapy                  through 26260) provides a detailed                    1998. However, there were two ways in
                                                  case-mix’’ components of the federal                    discussion of the data sources used to                which the SLP percentage calculation
                                                  base payment rate into two components                   calculate the original federal base                   deviates from the 1998 base rates
                                                  each, thereby creating four case-mix                    payment rates in 1998. We are                         calculation. First, the 1998 calculation
                                                  adjusted components. More specifically,                 considering using the same data sources               of the base rates excluded reports for
                                                  we would separate the ‘‘therapy case-                   to determine the portion of the therapy               facilities exempted from cost limits in
                                                  mix’’ rate component into a ‘‘Physical                  case-mix component base rate that                     the base year. The available data do not
                                                  Therapy/Occupational Therapy’’ (PT/                     would be assigned to the SLP                          identify which facilities were exempted
                                                  OT) component and a ‘‘Speech-                           component base rate. As described in                  from cost limits in the base year, so this
                                                  Language Pathology’’ (SLP) component.                   section III.C.3. of this ANPRM, the                   restriction was not implemented. We do
                                                  Our rationale for bifurcating the therapy               methodology for bifurcating the nursing               not believe this had a notable impact on
                                                  case-mix component in this manner is                    component base rate is different than                 our estimate of the SLP percentage,
                                                  presented in section III.D.3.b. of this                 the methodology used for bifurcating                  because only a small fraction of
                                                  ANPRM. Based on the results of the                      the therapy component base rate,                      facilities were exempted from cost
                                                  SNF PMR, we would also separate the                     despite using the same data sources.                  limits. Consistent with the 1998 base
                                                  ‘‘nursing case-mix’’ rate component into                The portion of the nursing component                  rates calculation, we excluded facilities
                                                  a ‘‘nursing’’ component and a ‘‘Non-                    base rate that corresponds to NTA costs
                                                  Therapy Ancillary’’ (NTA) component.                                                                          with per diem costs more than three
                                                                                                          was already calculated using the same                 standard deviations higher than the
                                                  Our rationale for bifurcating the nursing               data source used to calculate the federal
                                                  case-mix component in this manner is                                                                          geometric mean across facilities.
                                                                                                          base payment rates in 1998. As
                                                  presented in section III.D.3.e. of this                                                                       Therefore, facilities with unusually high
                                                                                                          explained below, we used the
                                                  ANPRM. Given that all SNF residents,                                                                          costs did not influence our estimate.
                                                                                                          previously calculated percentage of the
                                                  under the RCS–I model, would be                         nursing component base rate                           Second, the 1998 calculation of the base
                                                  assigned to a classification group for                  corresponding to NTA costs to set the                 rates excluded costs related to
                                                  each of the two therapy-related case-mix                NTA base rate, and verified this                      exceptions payments and costs related
                                                  adjusted components as further                          calculation with the analysis described               to approved educational activities. The
                                                  discussed below, we believe that we                     in section III.C.3 of this ANPRM.                     available cost report data did not
                                                  could eliminate the ‘‘therapy non-case-                 Therefore, the steps described below                  identify costs related to exceptions
                                                  mix’’ rate component under the RCS–I                    address the calculations performed to                 payments nor indicate what percentage
                                                  model. The existing non-case-mix                        bifurcate the therapy base rate alone.                of overall therapy costs or costs by
                                                  component could be maintained as it is                     The percentage of the current therapy              therapy discipline were related to
                                                  currently constituted under the existing                case-mix component of the federal base                approved educational activities, so these
                                                  SNF PPS. Although the case-mix                          payment rates that would be assigned to               costs are not excluded from the SLP
                                                  components of the RCS–I case-mix                        the SLP component of the federal base                 percentage calculation. Because
                                                  classification system would address                     payment rates was determined using                    exceptions were only granted for routine
                                                  costs associated with individual                        cost information from FY 1995 cost                    costs, we believe the inability to exclude
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                                                  resident care based on an individual’s                  reports, after making the following                   these costs should not affect our
                                                  specific needs and characteristics, the                 exclusions and adjustments: First, only               estimate of the SLP percentage (as
                                                  non-case-mix component addresses                        settled and as-submitted cost reports for             exceptions would not apply to therapy
                                                  consistent costs that are incurred for all              hospital-based and freestanding SNFs                  costs). Additionally, the data indicate
                                                  residents, such as room and board and                   for periods beginning in FY 1995 and                  that educational costs made up less than
                                                  various capital-related expenses. As                    spanning 10 to 13 months were                         one-hundredth of 1 percent of overall
                                                  these costs are not likely to change,                   included. This set of restrictions                    SNF costs. If the proportion of
                                                  regardless of what changes we might                     replicates the restrictions used to derive            educational costs is relatively uniform
                                                  make to the SNF PPS, we believe it                      the original federal base payment rates               across cost categories, the inability to


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                                                  20986                     Federal Register / Vol. 82, No. 85 / Thursday, May 4, 2017 / Proposed Rules

                                                  exclude these costs should have a                       3. Methodology Used for the Calculation               for-Service-Payment/SNFPPS/
                                                  negligible impact on our estimate.                      of Revised Federal Base Payment Rate                  therapyresearch.html), we show the
                                                    In addition to Part A costs from the                  Components                                            results of each of these calculations.
                                                                                                                                                                   The three steps outlined above
                                                  cost report data, the 1998 federal base                   As discussed above, we are
                                                                                                                                                                produce a measure of SLP costs per day
                                                  rates calculation incorporated estimates                considering separating the current
                                                                                                                                                                and a measure of therapy costs per day.
                                                  of amounts payable under Part B for                     therapy components into a PT/OT
                                                                                                                                                                We divided the SLP cost measure by the
                                                  covered SNF services provided to Part A                 component and an SLP component. To
                                                                                                                                                                therapy cost measure to obtain the
                                                  SNF residents, as required by section                   do this, we considered calculating the
                                                                                                                                                                percentage of the therapy component
                                                  1888(e)(4)(A)(ii) of the Act. In                        percentage of the current therapy
                                                                                                                                                                that corresponds to SLP costs. We
                                                  calculating the SLP percentage, we also                 component of the federal base rate that
                                                                                                                                                                believe that following a methodology to
                                                  estimated the amounts payable under                     corresponds to each of the two RCS–I                  derive the SLP percentage that is
                                                  Part B for covered SNF services                         components (PT/OT and SLP) in                         consistent with the methodology used to
                                                  provided to Part A residents. All Part B                accordance with the methodology set                   determine the base rates in the 1998
                                                  claims associated with Part A SNF                       forth below.                                          interim final rule with comment period
                                                  claims overlapping with FY 1995 cost                      The data described in section III.C.2.              is appropriate because a consistent
                                                  reports were matched to the                             of this ANPRM provides cost estimates                 methodology helps to ensure that the
                                                  corresponding facility’s cost report. For               for the Medicare Part A SNF population                resulting base rates for the components
                                                  each cost center (for example, SLP, PT,                 for each cost report that met the                     resemble what they would be had they
                                                  OT) in each cost report, a ratio was                    inclusion criteria. Cost reports stratify             been established in 1998 and that the
                                                  calculated to determine the amount by                   costs by a number of cost centers that                methodology is as consistent as possible
                                                  which Part A costs needed to be                         indicate different types of services. For             with the relevant statutory
                                                  increased to account for the portion of                 instance, costs are reported separately               requirements, as discussed in section
                                                  costs payable under Part B. This ratio                  for each of the three therapy disciplines             III.A.1 above. We found that 16 percent
                                                  for each cost center was determined by                  (PT, OT, and SLP). Cost reports also                  of the therapy component of the base
                                                  dividing the total charges from the                     include the number of Medicare Part A                 rate for urban SNFs and 18 percent of
                                                  matched Part B claims by the total                      utilization days during the cost                      the therapy component of the base rate
                                                  charges from the Part A SNF claims                      reporting period. This allows us to                   for rural SNFs correspond to SLP costs.
                                                  overlapping with the cost report.                       calculate both average SLP costs per day              Under the RCS–I model we are
                                                                                                          and average therapy costs per day in the              considering, the current therapy case-
                                                    Finally, the 1998 federal base rates                  facility during the cost reporting period.
                                                  calculation standardized the cost data                                                                        mix component would be separated into
                                                                                                          Therapy costs are defined as the sum of               a Physical Therapy/Occupational
                                                  for each facility to control for the effects            costs for the three therapy disciplines.
                                                  of case-mix and geographic-related wage                                                                       Therapy component and a Speech-
                                                                                                            The goal of this methodology is to                  Language Pathology component using
                                                  differences, as required by section                     estimate the fraction of therapy costs
                                                  1888(e)(4)(C) of the Act. When                                                                                the percentages derived above. This
                                                                                                          that corresponds to SLP costs. We use                 process is done separately for urban and
                                                  calculating the SLP share of the current                the facility-level averages developed
                                                  therapy base rate, we replicated the                                                                          for rural facilities. In section 3.11.3 of
                                                                                                          from cost reports to derive a federal                 the SNF PMR Technical Report
                                                  method used in 1998 to standardize for                  average for both therapy costs and SLP                (available at https://www.cms.gov/
                                                  wage differences, as described in the                   costs. To do this, we followed the                    Medicare/Medicare-Fee-for-Service-
                                                  1998 interim final rule with comment                    methodology outlined in section II.A.3                Payment/SNFPPS/
                                                  period (63 FR 26259 through 26260). We                  of the 1998 interim final rule with                   therapyresearch.html), we provide the
                                                  applied a hospital wage index to the                    comment period (63 FR 26260), which                   specific cost centers used to identify
                                                  labor-related share of costs, estimated at              was used by CMS (then known as                        SLP costs and total therapy costs.
                                                  75.888 percent, and used an index                       HCFA) to create the federal base                         In addition, we are considering
                                                  composed of hospital wages from FY                      payment rates:                                        separating the current nursing case-mix
                                                  1994. The SLP percentage calculation                      (1) For each of the two measures of                 component into a nursing case-mix
                                                  did not include the case-mix adjustment                 cost (SLP costs per day and total therapy             component and an NTA component.
                                                  used in the 1998 calculation because the                costs per day), we computed the mean                  Similar to the therapy component, we
                                                  1998 adjustment relied on the obsolete                  based on data from freestanding SNFs                  are considering calculating the
                                                  RUG–III classification system. In the                   only. This mean was weighted by the                   percentage of the current nursing
                                                  1998 federal base rates calculation,                    total number of Medicare days of the                  component of the federal base rates that
                                                  information from SNF and inpatient                      facility.                                             corresponds to each of the two RCS–I
                                                  claims was mapped to RUG–III clinical                     (2) For each of the two measures of                 components (NTA and nursing). The
                                                  categories at the resident level to case-               cost (SLP costs per day and total therapy             1998 reopening of the comment period
                                                  mix adjust facility per diem costs.                     costs per day), we computed the mean                  for the interim final rule (63 FR 65561,
                                                  However, the 1998 interim final rule did                based on data from both hospital-based                November 27, 1998) states that NTA
                                                  not document this mapping, and the                      and freestanding SNFs. This mean was                  costs comprise 43.4 percent of the
                                                  data used as the basis for this                         weighted by the total number of                       current nursing component of the urban
                                                  adjustment are no longer available, and                 Medicare days of the facility.                        federal base rate, and the remaining 56.6
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                                                  therefore this step could not be                          (3) For each of the two measures of                 percent accounts for nursing and social
                                                  replicated. Because the case-mix                        cost (SLP costs per day and total therapy             services salary costs. These percentages
                                                  adjustment was applied at the facility                  costs per day), we calculated the                     for the nursing component of the federal
                                                  level, the inability to replicate this step             arithmetic mean of the amounts                        base rate for rural facilities are 42.7
                                                  should not impact our estimate of the                   determined under steps (1) and (2)                    percent and 57.3 percent, respectively
                                                  SLP percentage, as we expect the case-                  above.                                                (63 FR 65561). Therefore, we are
                                                  mix adjustment would affect the                           In section 3.11.3 of the SNF PMR                    considering assigning 43 percent of the
                                                  estimates of SLP and total therapy per                  Technical Report (available at https://               current nursing component of the
                                                  diem costs to the same degree.                          www.cms.gov/Medicare/Medicare-Fee-                    federal base rates to the new NTA


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                                                                                 Federal Register / Vol. 82, No. 85 / Thursday, May 4, 2017 / Proposed Rules                                                  20987

                                                  component of the federal base rate, and                            the nursing component, which relied on                federal per diem rates would be for each
                                                  to assign the remaining 57 percent to the                          a similar methodology, were $109.48 for               of the case-mix adjusted components if
                                                  new nursing component of the federal                               urban facilities and $104.88 for rural                we were to apply the RCS–I case-mix
                                                  base rate.                                                         facilities. Therefore, our measure of                 classification model to the proposed FY
                                                    We verified the 1998 calculation of                              NTA costs in urban facilities was                     2018 base rates (as set forth in the FY
                                                  the percentages of the nursing                                     equivalent to 43.6 percent of the urban               2018 SNF PPS proposed rule. These are
                                                  component federal base rates that                                  1998 federal nursing base rate, and our               derived by dividing the proposed FY
                                                  correspond to NTA costs by developing                              measure of NTA costs in rural facilities              2018 SNF PPS base rates according to
                                                  a measure of NTA costs per day for                                 was equivalent to 45.1 percent of the                 the percentages described above. Tables
                                                  urban and rural facilities. We used the                            rural 1998 federal nursing base rate.                 1 and 2 also show what the unadjusted
                                                  same data and followed the same                                    These results are similar to the estimates            federal per diem rates for the non-case-
                                                  methodology described above to                                     published in the 1998 reopening of the                mix component would be, which are not
                                                  develop measures of SLP costs per day                              comment period for the interim final                  affected by the change in case-mix
                                                  and total therapy costs per day. The                               rule (63 FR 65561, November 27, 1998),                methodology from the RUG–IV to the
                                                  measure of NTA costs per day produced                              which we believe supports the validity                RCS–I. We use these unadjusted federal
                                                  by this analysis is $47.70 for urban                               of the 43 percent figure stated above.                per diem rates in calculating the impact
                                                  facilities and $47.30 for rural facilities.                           For illustration purposes, Tables 1                analysis discussed in section III.H. of
                                                  The original 1998 federal base rates for                           and 2 set forth what the unadjusted                   this ANPRM.

                                                                                              TABLE 1—RCS–I UNADJUSTED FEDERAL RATE PER DIEM—URBAN
                                                                              Rate component                                           Nursing                NTA           PT/OT             SLP        Non-case-mix

                                                  Per Diem Amount ................................................................     $100.91            $76.12           $126.76           $24.14         $90.35


                                                                                              TABLE 2—RCS–I UNADJUSTED FEDERAL RATE PER DIEM—RURAL
                                                                              Rate component                                           Nursing                NTA           PT/OT             SLP        Non-case-mix

                                                  Per Diem Amount ................................................................     $96.40             $72.72           $141.47           $31.06         $92.02



                                                    We invite comments on the data                                   2017 SNF PPS final rule. We invite                    are resident, and not facility, centered.
                                                  sources and methodology we are                                     comments on these ideas.                              To that end, RCS–I was developed to be
                                                  considering for calculating the                                    B. Potential Design and Methodology for               a payment model which derives almost
                                                  unadjusted federal per diem rates and                              Case-Mix Adjustment of Federal Rates                  exclusively from verifiable resident
                                                  components that would be used in                                                                                         characteristics.
                                                  conjunction with the RCS–I case-mix                                1. Background on Resident
                                                                                                                                                                              Additionally, the current RUG–IV
                                                  classification model.                                              Classification System, Version I
                                                                                                                                                                           case-mix classification system reduces
                                                                                                                        Section 1888(e)(4)(G)(i) of the Act                the varied needs and characteristics of
                                                  4. Updates and Wage Adjustments of
                                                                                                                     requires that the Secretary provide for               a resident into a single RUG–IV group
                                                  Revised Federal Base Payment Rate                                  an appropriate adjustment to account
                                                  Components                                                                                                               that is used for payment. As of FY 2016,
                                                                                                                     for case mix and that such an                         of the 66 possible RUG classifications,
                                                     In section III.B. of the FY 2017 SNF                            adjustment shall be based on a resident               over 90 percent of covered SNF PPS
                                                  PPS final rule (81 FR 51972), we                                   classification system that accounts for               days are billed using one of the 23
                                                  describe the process used to update the                            the relative resource utilization of                  Rehabilitation RUGs, with over 60
                                                  federal per diem rates each year.                                  different patient types. The current case-            percent of covered SNF PPS days billed
                                                  Additionally, as discussed in section                              mix classification system uses a
                                                                                                                                                                           using one of the three Ultra-High
                                                                                                                     combination of resident characteristics
                                                  III.B.4 of the FY 2017 SNF PPS final rule                                                                                Rehabilitation RUGs. The implication of
                                                                                                                     and service intensity metrics (for
                                                  (81 FR 51978), SNF PPS rates are                                                                                         this pattern is that more than half of the
                                                                                                                     example, therapy minutes) to assign
                                                  adjusted for geographic differences in                                                                                   days billed under the SNF PPS
                                                                                                                     residents to one of 66 RUGs, each of
                                                  wages using the most recent hospital                               which has a set of CMIs indicative of the             effectively utilize only a resident’s
                                                  wage index. Under the RCS–I case-mix                               relative cost to a SNF of treating                    therapy minutes and Activities of Daily
                                                  model we are considering, we would                                 residents within that classification                  Living (ADL) score to determine the
                                                  continue to update the federal base                                category. However, as noted in section                appropriate payment for all aspects of a
                                                  payment rates and adjust for geographic                            III.A. of this ANPRM, incorporating                   resident’s care. Both of these metrics,
                                                  differences in wages following the                                 service-based metrics into the payment                more notably a resident’s therapy
                                                  current methodology used for such                                  system can incentivize the provision of               minutes, may derive not so much from
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                                                  updates and wage index adjustments                                 services based on a facility’s financial              the resident’s own characteristics, but
                                                  under the SNF PPS. Specifically, under                             considerations rather than resident                   rather, from the type and amount of care
                                                  the RCS–I case-mix model, we would                                 needs. To better ensure that resident                 the SNF decides to provide to the
                                                  continue the practice of using the SNF                             care decisions appropriately reflect each             resident. Even assuming that the facility
                                                  market basket, adjusted as described in                            resident’s actual care needs, we believe              takes the resident’s needs and unique
                                                  section III.B. of the FY 2017 SNF PPS                              it is important to remove, to the extent              characteristics into account in making
                                                  final rule, and of adjusting for                                   possible, service-based metrics from the              these service decisions, the focus of
                                                  geographic differences in wages as                                 SNF PPS and derive payment from                       payment remains centered, to a
                                                  described in section III.B.4 of the FY                             objective resident characteristics that               potentially great extent, on the facility’s


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                                                  20988                     Federal Register / Vol. 82, No. 85 / Thursday, May 4, 2017 / Proposed Rules

                                                  own decision making and not on the                      derived from SNF claims. SNF claims                   version 3.0 assessments began. MDS
                                                  resident’s needs.                                       (CMS–1450 form, OMB control number                    data were extracted from the Quality
                                                     While the RUG–IV model utilizes a                    0938–0997), including type of bill (TOB)              Improvement Evaluation System (QIES).
                                                  host of service-based metrics (type and                 21x (SNF Inpatient Part A) and 18x                    MDS assessments were then matched to
                                                  amount of care the SNF decides to                       (hospital swing bed), were used to                    SNF claims data using the beneficiary
                                                  provide) to classify the resident into a                identify Medicare Part A stays paid                   identifier, assessment indicator,
                                                  single RUG–IV group, the RCS–I model                    under the SNF PPS. Part A stays were                  assessment date, and Resource
                                                  under consideration would separately                    constructed by linking claims that share              Utilization Group (RUG).
                                                  identify and adjust for the varied needs                the same beneficiary identifier, facility               The SNF PMR also used assessment
                                                  and characteristics of a resident’s care                CMS Certification Number (CCN), and                   data not available in the SNF setting.
                                                  and then combine them together. We                      admission date. Information from the                  Data from the IRF Patient Assessment
                                                  believe that the RCS–I classification                   claims, such as RUGs, diagnoses, and                  Instrument (IRF–PAI) and Outcome and
                                                  model could improve the SNF PPS by                      assessment dates, were aggregated                     Assessment Information Set (OASIS)
                                                  basing payments predominantly on                        across a stay. Stays created from SNF                 were used to identify characteristics that
                                                  clinical characteristics rather than                    claims were linked to other claims data               are predictive of service use and costs
                                                  service provision, thereby enhancing                    and assessment data via beneficiary                   in the IRF and home health settings, to
                                                  payment accuracy and strengthening                      identifiers.                                          consider potential similarities with
                                                  incentives for appropriate care.                           Acute care hospital stays that                     service use in the SNF setting. IRF–PAI
                                                                                                          qualified the beneficiary for the SNF                 and OASIS include assessments for all
                                                  2. Data Sources Utilized for Developing
                                                                                                          benefit were identified using Medicare                Medicare IRF and home health patients,
                                                  RCS–I                                                   inpatient hospital claims. More                       regardless of fee-for-service or Medicare
                                                     To understand, research, and analyze                 specifically, the dates of the qualifying             Advantage enrollment. While the care
                                                  the costs of providing Part A services to               hospital stay listed in the span codes of             furnished in the IRF and home health
                                                  SNF residents, Acumen utilized a                        the SNF claim were used, connecting                   settings may differ from that furnished
                                                  variety of data sources in the course of                inpatient claims with those dates listed              in a SNF, there are similarities in the
                                                  their research. In this section, we                     as the admission and discharge dates.                 patient populations across PAC settings.
                                                  discuss these sources and how they                      Although there are exceptions, the                    IRF–PAI and OASIS data were used for
                                                  were used in the SNF PMR in                             claims from the preceding inpatient                   exploratory analyses but were not used
                                                  developing the RCS–I case-mix                           hospitalization commonly contain                      to develop RCS–I payment components.
                                                  classification model. A more thorough                   clinical and service information relevant
                                                  discussion of the data sources used                     to the care administered during a SNF                 d. Facility Data
                                                  during the SNF PMR is available in                      stay. Components of this information                     Facility characteristics, while not
                                                  section 3.1 of the SNF PMR Technical                    were used in the regression models                    considered as explanatory variables
                                                  Report (available at https://                           predicting therapy and NTA costs or to                when modeling service use, were used
                                                  www.cms.gov/Medicare/Medicare-Fee-                      better understand patterns of post-acute              for impact analyses. By incorporating
                                                  for-Service-Payment/SNFPPS/                             care referrals for patients requiring SNF             this facility-level information, we could
                                                  therapyresearch.html).                                  services. Additionally, the most recent               identify any disproportionate effects of
                                                                                                          hospital stay was matched to the SNF                  the new case-mix classification system
                                                  a. Medicare Enrollment Data
                                                                                                          stay, which often (though not always)                 on different types of facilities.
                                                     Beneficiary enrollment and                           was the same as the preceding inpatient                  Facility-level characteristics were
                                                  demographic information was pulled                      hospitalization, and used in the                      taken from the Certification and Survey
                                                  from the CMS enrollment database                        regression models.                                    Provider Enhanced Reports (CASPER).
                                                  (EDB) and Common Medicare                                  Other Medicare claims, including
                                                                                                                                                                From CASPER, we draw facility-level
                                                  Environment (CME). Beneficiaries’                       outpatient hospital, physician, home
                                                                                                                                                                characteristics such as ownership, chain
                                                  Medicare enrollment was used to apply                   health, hospice, durable medical
                                                                                                                                                                affiliation, facility size, and staffing
                                                  restrictions to create a study population               equipment, and drug prescriptions,
                                                                                                                                                                levels. CASPER data were
                                                  for analysis. For example, beneficiaries                were incorporated, as necessary, into
                                                                                                                                                                supplemented with information from
                                                  were required to have continuous                        the analysis in one of three ways: (i) To
                                                                                                                                                                publicly available data sources. The
                                                  Medicare Part A enrollment during a                     verify information found on assessment
                                                                                                                                                                principal data sources that are publicly
                                                  stay. Demographic characteristics (for                  and SNF or inpatient claims data; (ii) to
                                                                                                                                                                available include the Medicare Cost
                                                  example, age) were incorporated as                      provide additional resident
                                                                                                                                                                Reports (Form 2540–10, 2540–96, and
                                                  being predictive of resource use.                       characteristics to test outside of those
                                                                                                                                                                2540–92) extracted from the Healthcare
                                                  Furthermore, enrollment and                             found in assessment and SNF and
                                                                                                                                                                Cost Report Information System (HCRIS)
                                                  demographic information from these                      inpatient claims data; and (iii) to stratify
                                                                                                                                                                files, Provider-Specific Files (PSF),
                                                  data sources were used to assess the                    modeling results to identify effects of
                                                                                                                                                                Provider of Service files (POS), and
                                                  impact of the RCS–I model under                         the system on beneficiary
                                                                                                                                                                Nursing Home Compare (NHC). These
                                                  consideration on subpopulations of                      subpopulations. These claims were
                                                                                                                                                                data sources have information on
                                                  interest. In particular, the EDB and CME                linked to SNF claims using beneficiary
                                                                                                                                                                facility costs and payment and
                                                  include indicators for potentially                      identifiers.
                                                                                                                                                                characteristics that directly affect PPS
                                                  vulnerable subpopulations, such as
                                                                                                          c. Assessment Data                                    calculations.
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                                                  those dually-enrolled in Medicaid.
                                                                                                             MDS assessments were the primary                   3. Resident Classification Under RCS–I
                                                  b. Medicare Claims Data                                 source of resident characteristics used to
                                                     Medicare Parts A and B claims from                   explain service use and payment in the                a. Background
                                                  the CMS Common Working Files (CWF)                      SNF setting. Acumen’s data repositories                 As noted above, section
                                                  and Prescription Drug Event (PDE)                       include MDS assessments submitted by                  1888(e)(4)(G)(i) of the Act requires that
                                                  claims from the PDE database were used                  SNFs and swing-bed hospitals. MDS                     the Secretary provide for an appropriate
                                                  to conduct claims analyses as part of the               version 2.0 assessments were submitted                adjustment to account for case mix and
                                                  SNF PMR. The claims data analyzed                       until October 2010, at which point MDS                that such an adjustment shall be based


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                                                                            Federal Register / Vol. 82, No. 85 / Thursday, May 4, 2017 / Proposed Rules                                           20989

                                                  on a resident classification system that                b. Physical and Occupational Therapy                  variety of variables from the MDS, as
                                                  accounts for the relative resource                      Case-Mix Classification                               well as PT, OT, and SLP costs per day.
                                                  utilization of different patient types.                    A fundamental aspect of the RCS–I                  More information on these analyses can
                                                  RCS–I was developed to be a model of                    case-mix classification model is to use               be found in section 3.3.1 of the SNF
                                                  payment which derives almost                            resident characteristics to predict the               PMR technical report available at
                                                  exclusively from resident                               costs of furnishing similarly situated                https://www.cms.gov/Medicare/
                                                  characteristics. More specifically, the                 residents with SNF care. Costs derived                Medicare-Fee-for-Service-Payment/
                                                  RCS–I model under consideration                         from the charges on claims and CCRs on                SNFPPS/therapyresearch.html.
                                                  separately identifies and adjusts four                  facility cost reports were used as the                   Given the results of this analytic
                                                                                                          measure of resource use to develop the                work, we are considering combining PT
                                                  different case-mix components for the
                                                                                                                                                                and OT costs under a single case-mix
                                                  varied needs and characteristics of a                   RCS–I system. Costs better reflect
                                                                                                                                                                adjusted component, while addressing
                                                  resident’s care and then combines these                 differences in the relative resource use
                                                                                                                                                                SLP costs through a separate case-mix
                                                  together with the non-case-mix                          of residents as opposed to charges,
                                                                                                                                                                adjusted component. The next step in
                                                  component to form the full SNF PPS per                  which partly reflect decisions made by
                                                                                                                                                                our analysis was to identify resident
                                                  diem rate for that resident.                            providers about how much to charge
                                                                                                                                                                characteristics that were best predictive
                                                                                                          payers for certain services. Costs
                                                     As with any case-mix classification                                                                        of PT/OT costs per day. To accomplish
                                                                                                          derived from charges are reflective of
                                                  system, the predictors that were found                                                                        this, we conducted cost regressions with
                                                                                                          therapy utilization as they are correlated
                                                  to be part of case-mix classification                                                                         a host of variables from the MDS
                                                                                                          to therapy minutes recorded for each
                                                  under RCS–I are those which our                                                                               assessment, the prior inpatient claims,
                                                                                                          therapy discipline. Under the current                 and the SNF claims that may have been
                                                  analysis associated with variation in the               RUG–IV case-mix model, therapy
                                                  costs for the given case-mix component.                                                                       predictive of relative increases in PT/OT
                                                                                                          minutes for all three therapy disciplines             costs. The variables were selected with
                                                  The federal per diem rates discussed                    (physical therapy (PT), occupational
                                                  above serve as ‘‘base rates’’ specifically                                                                    the goal of being as inclusive as possible
                                                                                                          therapy (OT), and speech-language                     of the characteristics recorded on the
                                                  because they set the basic average cost                 pathology (SLP)) are added together to
                                                  of treating a typical SNF resident. Based                                                                     MDS assessment, and also included
                                                                                                          determine the appropriate case-mix                    information from the prior inpatient
                                                  on the presence of certain needs or                     classification for the resident. However,
                                                  characteristics, caring for certain                                                                           stay. The selection also incorporated
                                                                                                          when we began to investigate resident                 clinical input. These initial costs
                                                  residents may cost more or less than                    characteristics predictive of therapy                 regressions were exploratory and meant
                                                  that average cost. A case-mix system                    costs for each therapy discipline,                    to identify a broad set of resident
                                                  identifies certain aspects of a resident or             summary statistics revealed that there                characteristics that are predictive of PT/
                                                  of a resident’s care which, when                        exists little correlation between PT and              OT resource utilization. The results
                                                  present, lead to average costs for that                 OT costs per day with SLP costs per day               were used to inform which variables
                                                  group being higher or lower than the                    (correlation coefficient of 0.04). The set            should be investigated further and
                                                  average cost of treating a typical SNF                  of resident characteristics from the MDS              ultimately included in the payment
                                                  resident. For example, if we found that                 that predicted PT and OT utilization                  system. A table of all of the variables
                                                  therapy costs were the same for two                     was different than the set of                         considered as part of this analysis
                                                  residents regardless of having a                        characteristics predicting SLP                        appears in the Appendix of the SNF
                                                  particular condition, then that condition               utilization. Additionally, many                       PMR Technical Report available at
                                                  would not be relevant in predicting                     predictors of high PT and OT costs per                https://www.cms.gov/Medicare/
                                                  increases in therapy costs. If, however,                day predicted lower SLP costs per day,                Medicare-Fee-for-Service-Payment/
                                                  we found that, holding all else constant,               and vice versa. For example, residents                SNFPPS/therapyresearch.html. Based
                                                  the presence of a given condition was                   with cognitive impairments receive less               on our regression analyses, we found
                                                  correlated with an increase in therapy                  physical and occupational therapy but                 that the three most relevant predictors
                                                  costs for residents with that condition                 receive more speech-language                          of PT/OT costs per day were the clinical
                                                  over those without that condition, then                 pathology. As a result of this analysis,              reasons for the SNF stay, the resident’s
                                                  this could mean that this condition is                  we found that isolating predictors of                 functional status, and the presence of a
                                                  indicative, or predictive, of increased                 total therapy costs per day obscured                  cognitive impairment. More information
                                                  costs relative to the average cost of                   differences in the determinants of PT/                on this analysis can be found in section
                                                  treating SNF residents generally.                       OT and SLP utilization.                               3.4.1 of the SNF PMR technical report
                                                                                                             In contrast, the correlation coefficient           available at https://www.cms.gov/
                                                     In the subsections that follow, we                   between PT and OT costs per day was                   Medicare/Medicare-Fee-for-Service-
                                                  describe each of the four case-mix                      high (0.62), and regression analyses                  Payment/SNFPPS/
                                                  adjusted components under the RCS–I                     found that predictors of high PT costs                therapyresearch.html.
                                                  classification model we are considering,                per day were also predictive of high OT                  Under the RUG–IV case-mix model,
                                                  and the basis for each of the predictors                costs per day. For example, the analyses              residents are first categorized based on
                                                  that would be used within the RCS–I                     found that late-loss ADLs are strong                  being a rehabilitation resident or a non-
                                                  model to classify residents for payment                 predictors of both PT and OT costs per                rehabilitation resident, and then
                                                  purposes. In the final subsection under                 day. Acumen then ran regression                       categorized further based on additional
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                                                  this section of the ANPRM, we outline                   analyses of a range of resident                       aspects of the resident’s care. Under the
                                                  two hypothetical payment scenarios                      characteristics on PT and OT costs per                RCS–I case-mix model, for the purposes
                                                  utilizing the same set of resident                      day separately and found that the                     of determining the resident’s PT/OT
                                                  characteristics, one using the existing                 coefficients in both models followed                  group and, as will be discussed below,
                                                  RUG–IV classification model and one                     similar patterns. Finally, resident                   the resident’s SLP group, the resident is
                                                  using the RCS–I classification model, to                characteristics were found to be better               first categorized based on the clinical
                                                  demonstrate the increased flexibility                   predictors of the sum of PT and OT                    reasons for the resident’s SNF stay.
                                                  and resident-focused approach of the                    costs per day than for either PT or OT                Empirical analyses demonstrated that
                                                  RCS–I model.                                            costs separately. These analyses used a               the clinical basis for the resident’s stay


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                                                  20990                       Federal Register / Vol. 82, No. 85 / Thursday, May 4, 2017 / Proposed Rules

                                                  (that is, the primary reason the resident               therapyresearch.html. These collapsed                 related to facility decisions on support
                                                  is in the SNF) proved a strong predictor                categories, which would be used to                    provided to a resident regardless of
                                                  of therapy costs. More detail on these                  categorize a resident initially under the             need, we believe it would be more
                                                  analyses can be found in section 3.4.1                  PT/OT case-mix component, are                         appropriate to focus on those ADL areas
                                                  of the SNF PMR Technical Report. In                     presented in Table 4.                                 which are most relevant to the resident’s
                                                  consultation with stakeholders (industry                                                                      actual capabilities and needs. To this
                                                  representatives, beneficiary                                    TABLE 4—PT/OT CLINICAL                        end, the functional score used as part of
                                                  representatives, clinicians, and payment                              CATEGORIES                              the RCS–I case-mix model for purposes
                                                  policy experts) at multiple technical                                                                         of categorizing residents under the PT/
                                                  expert panels (TEPs), we created a set of               Major Joint Replacement or Spinal Surgery.            OT case-mix component would only use
                                                  ten inpatient clinical categories that we               Other Orthopedic.                                     the self-performance items for these
                                                  believe capture the range of general                    Non-Orthopedic Surgery.                               three ADL areas and ignore the support
                                                  resident types which may be found in                    Acute Neurologic.                                     items coded for these areas. We believe
                                                  a SNF. These clinical categories are                    Medical Management.
                                                                                                                                                                that the self-performance items are a
                                                  provided in Table 3.                                                                                          closer reflection of the resident’s ability
                                                                                                             With regard to operationalizing this
                                                                                                          categorization, we are considering using              to perform a task, while the support
                                                      TABLE 3—CLINICAL CATEGORIES                                                                               items are more descriptive of the staff’s
                                                                                                          item I8000 on the MDS 3.0 to allow
                                                                                                          providers to report the resident’s                    practices and level of effort, which may
                                                  Major Joint Replace-        Cancer.                                                                           not be consistent across facilities. We
                                                    ment or Spinal Sur-                                   primary diagnosis. More specifically,
                                                                                                          the first line in item I8000 would be                 believe that the self-performance items
                                                    gery.                                                                                                       better represent the actual needs of the
                                                  Non-Surgical Ortho-         Pulmonary.                  used by providers to report the ICD–10–
                                                    pedic/Musculo-                                        CM code which represents the primary                  resident, while the support items
                                                    skeletal.                                             reason for the resident’s SNF Part A                  represent facility resource decisions.
                                                  Orthopedic Surgery          Cardiovascular and          stay.                                                 Therefore, we believe that a resident’s
                                                    (Except Major               Coagulations.                In addition to the resident’s initial              ADL score, which would be used to
                                                    Joint).                                               clinical categorization, as discussed                 categorize a resident under RCS–I’s PT/
                                                  Acute Infections ........   Acute Neurologic.           previously in this section, regression                OT case-mix component, should be
                                                  Medical Management          Non-Orthopedic Sur-                                                               based on only the self-performance
                                                                                gery.                     analyses demonstrated that the
                                                                                                          resident’s functional status is also                  items for the transfer, eating, and
                                                                                                          predictive of PT/OT costs. However, the               toileting areas in Section G of the MDS
                                                     Once we identified these clinical
                                                                                                          existing ADL scale used to classify                   3.0.
                                                  categories as being generally predictive
                                                  of resource utilization in a SNF, we then               residents into a RUG–IV group captures                   In addition to these changes, we also
                                                  undertook the necessary work to                         little variation in PT/OT costs, though               are considering that, for purposes of
                                                  identify those categories predictive of                 this is unsurprising as the existing ADL              classifying a resident under RCS–I’s PT/
                                                  PT/OT costs specifically. We conducted                  scale was never intended for this                     OT case-mix component, each of these
                                                  additional regression analyses to                       purpose. Therefore, we found it                       ADL areas would be scored for a total
                                                  determine if any of these categories                    appropriate to consider revisions to the              of 6 points, rather than the current 4
                                                  predicted similar levels of PT/OT as                    ADL scale used to categorize the                      points under the RUG–IV model, where
                                                  other categories, which may provide a                   functional status of residents under the              the number of points increases with
                                                  basis for combining categories together                 PT/OT component in a manner that is                   predicted increases in the resident’s PT/
                                                  where similar resident costs were                       predictive of PT/OT costs.                            OT costs. Using 6 points would allow us
                                                  predicted. As a result of this analysis,                   Under the RUG–IV case-mix system, a                to consider the impact on PT/OT costs
                                                  we found that the ten inpatient clinical                resident’s ADL or functional score is                 for each of the 6 possible performance
                                                  categories could be collapsed into five                 calculated based on a combination of                  levels in the ADL self-performance
                                                  clinical categories, which predict                      self-performance and support items                    items. Under the RUG–IV model, if the
                                                  varying degrees of PT/OT costs. Acute                   coded by SNFs in Section G of the MDS                 SNF codes that the ‘‘activity did not
                                                  infections, cancer, pulmonary,                          3.0 for four ADL areas: Transfers; eating;            occur’’ or ‘‘occurred only once’’, then
                                                  cardiovascular and coagulations, and                    toileting; and bed mobility. Each ADL                 these items are ignored for purposes of
                                                  medical management were collapsed                       may be scored for four points, with a                 categorizing the resident for ADL
                                                  into one clinical category entitled                     potential total score as high as 16                   purposes. However, cost regressions
                                                  ‘‘Medical Management’’ because their                    points. Under the RCS–I case-mix                      revealed that these two codes can
                                                  residents had similar PT/OT costs.                      model, a resident would be categorized,               predict lower costs for PT/OT services,
                                                  Similarly, orthopedic surgery (except                   as it pertains to function, using only                which we believe is an important aspect
                                                  major joint) and non-surgical                           three of these ADL areas, specifically                of generally predicting PT/OT costs.
                                                  orthopedic/musculoskeletal were                         transfers, eating, and toileting. We                  Therefore, these two codes would be
                                                  collapsed into a new ‘‘Other                            removed bed mobility from this list,                  incorporated into the scoring for a
                                                  Orthopedic’’ category for equivalent                    based on feedback we received from                    resident’s ADL score under the PT/OT
                                                  reasons. The remaining three categories                 clinicians working on the research                    component of the RCS–I case-mix
                                                  (Acute Neurologic, Non-Orthopedic                       project and verified through                          model. In Table 5, we provide the
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                                                  Surgery, and Major Joint Replacement or                 presentation to stakeholders during our               scoring algorithm used for each of the
                                                  Spinal Surgery) showed distinct PT/OT                   TEPs, that bed mobility depends partly                three ADL areas and how many points
                                                  cost profiles and were thus retained as                 on the type of bed, and therefore it is               would be scored for each potential
                                                  independent categories. More                            likely confounded by facility                         response for each area. We determined
                                                  information on this analysis can be                     procedures, rather than exclusively                   the ADL scoring scale by first testing the
                                                  found in section 3.4.2 of the SNF PMR                   providing information about the                       relationship between each possible
                                                  technical report available at https://                  resident’s function. Therefore, to help               response to the three selected ADL
                                                  www.cms.gov/Medicare/Medicare-Fee-                      eliminate potential determinants of a                 items and PT/OT costs per day. This
                                                  for-Service-Payment/SNFPPS/                             resident’s functional level which may be              investigation revealed that therapy costs


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                                                                                     Federal Register / Vol. 82, No. 85 / Thursday, May 4, 2017 / Proposed Rules                                                                      20991

                                                  first increase, then decrease with                                        points are assigned to each possible                                   functional score that ranges from 0 to
                                                  increasing dependence on the transfer                                     response to the three selected ADL                                     18. As opposed to the ADL score used
                                                  and toileting items. Residents who                                        items based on the observed cost                                       in RUG–IV, the functional score has a
                                                  require assistance to perform these                                       patterns. As Table 5 shows, the points                                 linear relationship with PT/OT costs: As
                                                  ADLs tend to have higher PT/OT costs                                      assigned to each response mirror the                                   the score increases, PT/OT costs per day
                                                  than both residents who are completely                                    inverse U-shape of the dependence-cost                                 also increase. In section 3.4.1 of the SNF
                                                  independent and residents who are                                         curve for the transfer and toileting items                             PMR Technical report, we provide
                                                  completely dependent. However, costs                                      and the monotonic decrease in costs                                    additional information on the analyses
                                                  consistently decrease with increasing                                     associated with increasing dependence                                  that led to the construction of this ADL
                                                  dependence on the eating item. The                                        on the eating item. This produces a                                    score.

                                                                                                                            TABLE 5—PT/OT ADL SCORING SCALE
                                                                                                   ADL self-performance score                                                                      Transfer        Toileting        Eating

                                                  Independent .................................................................................................................................               +3               +3            +6
                                                  Supervision ..................................................................................................................................              +4               +4            +5
                                                  Limited Assistance .......................................................................................................................                  +6               +6            +4
                                                  Extensive Assistance ...................................................................................................................                    +5               +5            +3
                                                  Total Dependence .......................................................................................................................                    +2               +2            +2
                                                  Activity Occurred only Once or Twice .........................................................................................                              +1               +1            +1
                                                  Activity did not Occur ...................................................................................................................                  +0               +0            +0



                                                     The final aspect of categorizing a                                        However, in approximately 15 percent                                meet the criteria for a higher-paying
                                                  resident under the PT/OT component of                                     of 5-day MDS assessments, a BIMS is                                    category.
                                                  the RCS–I case-mix model is related to                                    not completed: In 12 percent of cases                                     Given that the 15 percent of residents
                                                  the resident’s cognitive status. Currently                                the interview is not attempted, and for                                who are not assessed on the BIMS must
                                                  under the SNF PPS, cognitive status is                                    3 percent of cases the interview is                                    be assessed using a different scale that
                                                  used to classify a small portion of                                       attempted but cannot be completed. The                                 relies on a different set of MDS items,
                                                  residents that fall into the Behavioral                                   MDS directs assessors to skip the BIMS                                 there is currently no single measure of
                                                  Symptoms and Cognitive Performance                                        if the resident is rarely or never                                     cognitive status that allows
                                                  RUG–IV category. For all other                                            understood (this is scored as                                          comparability across all residents. To
                                                  residents, cognitive status is not used in                                ‘‘skipped’’). In these cases, the MDS                                  address this issue, Thomas et al., in a
                                                  determining the appropriate payment                                       requires assessors to complete the Staff                               2015 paper, proposed use of a new
                                                  for a resident’s care. However, industry                                  Assessment for Mental Status (items                                    cognitive measure, the Cognitive
                                                  representatives and clinicians at                                         C0700–C1000). The Cognitive                                            Function Scale (CFS), which combines
                                                  multiple TEPs suggested that a                                            Performance Scale (CPS) is used to                                     scores from the BIMS and CPS into one
                                                  resident’s cognitive status can have a                                    assess cognitive function based on the                                 scale that can be used to compare
                                                  significant impact on a resident’s                                        Staff Assessment for Mental Status. The                                cognitive function across all residents
                                                  predicted PT/OT costs. This was                                           Staff Assessment for Mental Status                                     (Thomas KS, Dosa D, Wysocki A, Mor
                                                  reinforced by empirical analyses                                          consists of four items: ‘‘Short-term                                   V; The Minimum Data Set 3.0 Cognitive
                                                  conducted by Acumen. Sections 3.3.1,                                                                                                             Function Scale. Med Care. https://
                                                                                                                            Memory OK,’’ ‘‘Long-term Memory
                                                  3.4.1, and 3.4.2 of the SNF PMR                                                                                                                  www.ncbi.nlm.nih.gov/pubmed/
                                                                                                                            OK,’’ ‘‘Memory/Recall Ability,’’ and
                                                  Technical report contains more                                                                                                                   ?term=25763665). Following a
                                                                                                                            ‘‘Cognitive Skills for Daily Decision
                                                  information on these analyses (available                                                                                                         suggestion from the June 2016 TEP, we
                                                                                                                            Making.’’ However, only ‘‘Short-term                                   explored using the CFS as a measure of
                                                  at https://www.cms.gov/Medicare/                                          Memory OK’’ and ‘‘Cognitive Skills for
                                                  Medicare-Fee-for-Service-Payment/                                                                                                                cognition, and found that there is a
                                                                                                                            Daily Decision Making’’ are currently                                  relationship between the different levels
                                                  SNFPPS/therapyresearch.html).                                             used for payment. In MDS 2.0, the CPS
                                                  Therefore, we believe that a resident’s                                                                                                          of the cognitive scale and resident costs.
                                                                                                                            was used as the sole measure of                                        More information on this analysis can
                                                  cognitive status should be considered as                                  cognitive status. A resident was                                       be found in section 3.4.1 of the SNF
                                                  a predictor of PT/OT costs.                                               assigned a CPS score from 0 to 6 based                                 PMR technical report available at
                                                     Under the RUG–IV model, cognitive                                      on responses to several items on the                                   https://www.cms.gov/Medicare/
                                                  status is assessed using the Brief                                        MDS, with 0 indicating the resident was                                Medicare-Fee-for-Service-Payment/
                                                  Interview for Mental Status (BIMS) on                                     cognitively intact and 6 indicating the                                SNFPPS/therapyresearch.html.
                                                  the MDS 3.0. The BIMS is based on                                         highest level of cognitive impairment.                                 Therefore, we are considering using the
                                                  three items: ‘‘Repetition of three                                        Any score of 3 or above was considered                                 CFS as a cognitive measure in the RCS–
                                                  words;’’ ‘‘temporal orientation;’’ and                                    cognitively impaired. The CPS on the                                   I system. The RUG–IV system also
                                                  ‘‘recall.’’ The sum of these numbers is                                   current version of the MDS (3.0)                                       incorporates both the BIMS and CPS
pmangrum on DSK3GDR082PROD with PROPOSALS1




                                                  the BIMS summary score. The BIMS                                          functions very similarly. Instead of                                   score, but the CFS blends them together
                                                  score is from 0 to 15, with 0 assigned                                    assigning a score to each resident, a                                  into one measure of cognitive status.
                                                  to residents with the worst cognitive                                     resident is determined to be cognitively                               Details on how the BIMS score and CPS
                                                  performance and 15 assigned to                                            impaired if he or she meets the criteria                               score are determined using the MDS
                                                  residents with the highest performance.                                   to receive a score of 3 or above on the                                assessment are described above. The
                                                  Residents with a BIMS score less than                                     CPS. Residents who meet this criteria                                  CFS places residents into one of four
                                                  or equal to 9 classify for the Behavioral                                 are classified in the Behavioral                                       cognitive performance categories based
                                                  Symptoms and Cognitive Performance                                        Symptoms and Cognitive Performance                                     on their score on either the BIMS or
                                                  category.                                                                 category under RUG–IV, if they do not                                  CPS, as shown in Table 6.


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                                                  20992                            Federal Register / Vol. 82, No. 85 / Thursday, May 4, 2017 / Proposed Rules

                                                        TABLE 6—CFS CLASSIFICATION                        Based on the CART algorithm, we                                               each resident for PT/OT payment:
                                                               METHODOLOGY                             determined that 30 case-mix groups                                               Clinical category, function score, and
                                                                                                       would be necessary to classify residents                                         the presence of moderate or severe
                                                                                    BIMS       CPS     adequately in terms of their PT/OT                                               cognitive impairment. Each case-mix
                                                      CFS cognitive scale                              costs, in a manner that captures
                                                                                    score      score                                                                                    group corresponds to one clinical
                                                                                                       sufficient variation in PT/OT costs                                              category, one function score range, and
                                                  Cognitively Intact .............. 13–15 ............ without creating unnecessarily granular                                          the presence or absence of moderate/
                                                  Mildly Impaired .................   8–12       0–2 separations. In addition, the PT/OT                                                severe cognitive impairment. Based on
                                                  Moderately Impaired .........         0–7      3–4 case-mix groups also reflect certain                                               these three factors, we are considering
                                                  Severely Impaired ............. ............   5–6 administrative decisions made by our                                               classifying a resident into one of the 30
                                                                                                       project team. For example, while CART                                            groups shown in Table 7.
                                                     Once each of these variables—clinical may have created different breakpoints                                                          To help ensure that payment reflects
                                                  reasons for the SNF stay, the resident’s             for the functional score in different
                                                                                                                                                                                        the average relative resource use at the
                                                  functional status, and the presence of a             clinical categories, we believed that
                                                                                                       using a consistent split in scores across                                        per diem level, CMIs would be set to
                                                  cognitive impairment—in predicting                                                                                                    reflect relative case-mix related
                                                  resident PT/OT costs was identified, we clinical categories would improve the                                                         differences in costs across groups. CMIs
                                                  then used a statistical regression                   simplicity of the case-mix model
                                                                                                       without compromising its accuracy.                                               for the PT/OT component would be
                                                  technique called the Classification and                                                                                               calculated based on two factors. One
                                                  Regression Tree (CART) to determine                  Therefore, we used the splits created by
                                                                                                       the CART algorithm as the basis for the                                          factor is the average per diem costs of
                                                  the most appropriate splits in resident                                                                                               a case-mix group relative to the
                                                  PT/OT case-mix groups using these                    consistent splits selected for the case-
                                                                                                       mix groups, simplifying the CART                                                 population average. Relative differences
                                                  three variables. In other words, CART                                                                                                 in costs due to different length of stay
                                                  was used to determine how many PT/                   output while retaining important
                                                                                                       features of the CART-generated splits.                                           distribution across groups are removed
                                                  OT case-mix groups should exist under                                                                                                 from this calculation (as further
                                                  the RCS–I model under consideration                  Characteristics such as age, which
                                                                                                       CART did not select as an important                                              discussed in the description of variable
                                                  and what types of residents or score                                                                                                  per diem payments in section III.D.4 of
                                                  ranges should be combined to form each criterion for classifying residents, were                                                      this ANPRM). The other factor is the
                                                  of those PT/OT case-mix groups. CART                 dropped, while splits that recurred
                                                                                                       across clinical categories, such as                                              average variable per diem adjustment
                                                  is a non-parametric decision tree                                                                                                     factor of the group relative to the
                                                                                                       dividing residents into cognitively
                                                  learning technique that produces either                                                                                               population average. In this calculation,
                                                                                                       intact (CFS=1,2) and cognitively
                                                  classification or regression trees,                                                                                                   average per diem costs equal total PT/
                                                                                                       impaired (CFS=3,4) were retained. To
                                                  depending on whether the dependent                                                                                                    OT costs in the group divided by
                                                                                                       confirm that the consistent splits
                                                  variable is categorical or numeric,                                                                                                   number of utilization days in the group,
                                                                                                       approach did not require a notable
                                                  respectively. Using the CART technique sacrifice in payment accuracy, we used                                                         and similarly the average variable per
                                                  to create payment groups is                          regression analysis to test the ability of                                       diem adjustment factor equals the sum
                                                  advantageous because it is both immune the CART-generated splits and the                                                              of PT/OT variable per diem adjustment
                                                  to outliers and resistant to irrelevant              consistent splits to predict PT/OT costs                                         factors for all utilization days in the
                                                  parameters. The CART was used to                     per day. We found that using the                                                 group divided by the number of
                                                  create payment groups in other                       consistent splits resulted in only a                                             utilization days. More information on
                                                  Medicare settings. For example, it                   minor reduction in predictive ability (a                                         the variable per diem adjustment factor
                                                  determined Case Mix Groups (CMGs)                    decrease of 0.004 in the R-squared).                                             is discussed in section III.D.4 of this
                                                  splits within rehabilitation impairment              Section 3.4.2 of the SNF PMR Technical                                           ANPRM. This method would help
                                                  groups (RICs) when the inpatient                     Report contains more details on these                                            ensure that the share of payment for
                                                  rehabilitation facilities (IRF) PPS was              analyses (available at https://                                                  each case-mix group is equal to its share
                                                  developed. This methodology is more                  www.cms.gov/Medicare/Medicare-Fee-                                               of total costs of the component. The full
                                                  thoroughly explained in section 3.4.2 of for-Service-Payment/SNFPPS/                                                                  methodology used to develop CMIs is
                                                  the SNF PMR Technical Report                         therapyresearch.html).                                                           presented in section 3.12 of the SNF
                                                  (available at https://www.cms.gov/                      We provide the criteria for each of                                           PMR Technical Report is available at
                                                  Medicare/Medicare-Fee-for-Service-                   these groups, along with the CMI for                                             https://www.cms.gov/Medicare/
                                                  Payment/SNFPPS/                                      each group, in Table 7. As shown in the                                          Medicare-Fee-for-Service-Payment/
                                                  therapyresearch.html).                               table, three factors are used to classify                                        SNFPPS/therapyresearch.html.

                                                                                                           TABLE 7—PT/OT CASE-MIX CLASSIFICATION GROUPS
                                                                                                                                                                          Moderate/severe
                                                                                                                                                    Function                                                    Case-mix   Case-mix
                                                                                     Clinical category                                                                       cognitive
                                                                                                                                                     score                                                       group      index
                                                                                                                                                                            impairment

                                                  Major Joint Replacement or Spinal Surgery ...................................                            14–18     No ................................   TA                    1.82
                                                                                                                                                           14–18     Yes ..............................    TB                    1.59
pmangrum on DSK3GDR082PROD with PROPOSALS1




                                                                                                                                                            8–13     No ................................   TC                    1.73
                                                                                                                                                            8–13     Yes ..............................    TD                    1.45
                                                                                                                                                             0–7     No ................................   TE                    1.68
                                                                                                                                                             0–7     Yes ..............................    TF                    1.36
                                                  Other Orthopedic .............................................................................           14–18     No ................................   TG                    1.70
                                                                                                                                                           14–18     Yes ..............................    TH                    1.55
                                                                                                                                                            8–13     No ................................   TI                    1.58
                                                                                                                                                            8–13     Yes ..............................    TJ                    1.39
                                                                                                                                                             0–7     No ................................   TK                    1.38
                                                                                                                                                             0–7     Yes ..............................    TL                    1.14



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                                                                                   Federal Register / Vol. 82, No. 85 / Thursday, May 4, 2017 / Proposed Rules                                                                20993

                                                                                                TABLE 7—PT/OT CASE-MIX CLASSIFICATION GROUPS—Continued
                                                                                                                                                                          Moderate/severe
                                                                                                                                                    Function                                                    Case-mix   Case-mix
                                                                                     Clinical category                                                                       cognitive
                                                                                                                                                     score                                                       group      index
                                                                                                                                                                            impairment

                                                  Acute Neurologic .............................................................................           14–18     No ................................   TM                    1.61
                                                                                                                                                           14–18     Yes ..............................    TN                    1.48
                                                                                                                                                            8–13     No ................................   TO                    1.52
                                                                                                                                                            8–13     Yes ..............................    TP                    1.36
                                                                                                                                                             0–7     No ................................   TQ                    1.47
                                                                                                                                                             0–7     Yes ..............................    TR                    1.17
                                                  Non-Orthopedic Surgery .................................................................                 14–18     No ................................   TS                    1.57
                                                                                                                                                           14–18     Yes ..............................    TT                    1.43
                                                                                                                                                            8–13     No ................................   TU                    1.38
                                                                                                                                                            8–13     Yes ..............................    TV                    1.17
                                                                                                                                                             0–7     No ................................   TW                    1.11
                                                                                                                                                             0–7     Yes ..............................    TX                    0.80
                                                  Medical Management ......................................................................                14–18     No ................................   T1                    1.55
                                                                                                                                                           14–18     Yes ..............................    T2                    1.39
                                                                                                                                                            8–13     No ................................   T3                    1.36
                                                                                                                                                            8–13     Yes ..............................    T4                    1.17
                                                                                                                                                             0–7     No ................................   T5                    1.10
                                                                                                                                                             0–7     Yes ..............................    T6                    0.82



                                                    Under the RCS–I case-mix model, all                                 as they are correlated to therapy                               percent of the variation. This shows that
                                                  residents would be classified into one,                               minutes recorded for each therapy                               these predictors alone explain a large
                                                  and only one, of these 30 PT/OT case-                                 discipline.                                                     share of the variation in SLP costs per
                                                  mix groups. As opposed to the RUG–IV                                     Following the same methodology we                            day that can be explained with resident
                                                  system that determines therapy                                        used to identify predictors of PT/OT                            characteristics. More information on
                                                  payments based only on the amount of                                  costs, our project team conducted cost                          this analysis can be found in section
                                                  therapy provided, these groups classify                               regressions with a host of variables from                       3.5.1 of the SNF PMR technical report
                                                  residents based on three resident                                     the MDS assessment, prior inpatient                             available at https://www.cms.gov/
                                                  characteristics shown to be predictive of                             claims, and SNF claims that were                                Medicare/Medicare-Fee-for-Service-
                                                  PT/OT utilization. Thus, we believe that                              identified as likely to be predictive of                        Payment/SNFPPS/
                                                  the PT/OT case-mix groups would                                       relative increases in SLP costs. The                            therapyresearch.html.
                                                  provide a better measure of resource use                              variables were selected with the goal of
                                                  and would provide for more appropriate                                                                                                   As with the PT/OT component, we
                                                                                                                        being as inclusive of the measures                              began with the set of clinical categories
                                                  payment under the SNF PPS. We invite                                  recorded on the MDS assessment as
                                                  comments on the series of ideas and the                                                                                               identified in Table 3 (meant to capture
                                                                                                                        possible, and also included information                         general differences in resident resource
                                                  approach we are considering above                                     from the prior inpatient stay. The
                                                  associated with the PT/OT component                                                                                                   utilization) and ran cost regressions to
                                                                                                                        selection also incorporated clinical
                                                  of the RCS–I case-mix model.                                                                                                          determine which categories may be
                                                                                                                        input from TEP panelists, Acumen
                                                                                                                                                                                        predictive of generally higher relative
                                                  c. Speech-Language Pathology Case-Mix                                 clinical staff, and CMS clinical staff.
                                                                                                                                                                                        SLP costs. Through this analysis, we
                                                  Classification                                                        These initial costs regressions were
                                                                                                                                                                                        found that one clinical group was
                                                                                                                        exploratory and meant to identify a
                                                                                                                        broad set of resident characteristics that                      particularly predictive of increased SLP
                                                    As discussed above, many of the
                                                  resident characteristics which we found                               are predictive of SLP resource                                  cost, which was the Acute Neurologic
                                                  to be predictive of increased PT/OT                                   utilization. The results were used to                           group. More detail on this investigation
                                                  costs were predictive of lower SLP                                    inform which variables should be                                can be found in section 3.5.2 of the SNF
                                                  costs. As a result of this inverse                                    investigated further and ultimately                             PMR Technical Report. Therefore, to
                                                  relationship, using the same set of                                   included in the payment system. A table                         determine the initial resident
                                                  predictors to case-mix adjust a single                                of all of the variables considered in this                      classification into an SLP group under
                                                  therapy component would obscure                                       analysis appears in the Appendix of the                         the RCS–I, residents would first be
                                                  important differences in predicting                                   SNF PMR Technical Report. Based on                              categorized, using the clinical reasons
                                                  relative differences in resident therapy                              these cost regressions, we identified a                         for the resident’s SNF stay recorded on
                                                  costs and make any predictive model                                   set of three categories of predictors                           the first line of Item I8000 on the MDS
                                                  that attempts to predict total therapy                                relevant in predicting relative                                 assessment, into one of two groups,
                                                  cost inherently less accurate. Therefore,                             differences in SLP costs: Clinical                              either the ‘‘Acute Neurologic’’ clinical
                                                  we believe it is appropriate to have a                                reasons for the SNF stay, presence of a                         category, or into a Non-Neurologic
pmangrum on DSK3GDR082PROD with PROPOSALS1




                                                  separately adjusted case-mix SLP                                      swallowing disorder or mechanically-                            group that includes the remaining
                                                  component that is specifically designed                               altered diet, and the presence of an SLP-                       clinical categories found in Table 3:
                                                  to predict relative differences in SLP                                related comorbidity or cognitive                                Major Joint Replacement or Spinal
                                                  costs. As discussed in the prior section,                             impairment. A model using these                                 Surgery; Non-Surgical Orthopedic/
                                                  costs derived from the charges on claims                              predictors to predict SLP costs per day                         Musculoskeletal; Orthopedic Surgery
                                                  and CCRs on facility cost reports were                                accounted for 14.5 percent of the                               (Except Major Joint); Acute Infections,
                                                  used as the measure of resource use to                                variation in costs, while a very                                Cancer, Pulmonary; Non-Orthopedic
                                                  develop an alternative payment system.                                extensive model using 1,016 resident                            Surgery; Cardiovascular and
                                                  Costs are reflective of therapy utilization                           characteristics only predicted 19.3                             Coagulations; and Medical Management.


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                                                  20994                           Federal Register / Vol. 82, No. 85 / Thursday, May 4, 2017 / Proposed Rules

                                                     In addition to the clinical reason for                           affected relative differences in SLP                                       Once each of these variables—clinical
                                                  the SNF stay, cost regressions and TEP                              costs. More specifically, we found that                                 reasons for the SNF stay, presence of a
                                                  members also identified the presence of                             the presence of certain SLP-related                                     swallowing disorder or mechanically-
                                                  a swallowing disorder or a                                          comorbidities or the presence of a mild                                 altered diet, and the presence of an SLP-
                                                  mechanically-altered diet (which refers                             to severe cognitive impairment (as                                      related comorbidity or cognitive
                                                  to food that has been altered to make it                            defined by the CFS methodology                                          impairment—found to be useful in
                                                  easier for the resident to chew and                                 described in Table 6 in section III.D.3.b.                              predicting resident SLP costs was
                                                  swallow to address a specific resident                              of this ANPRM) was correlated with                                      identified, we then used the CART
                                                  need), as a predictor of relative                                   relative increases in SLP costs. For each                               algorithm, as we discussed above in
                                                  increases in SLP costs. First, residents                            condition or service included as an SLP-                                relation to the PT/OT component, to
                                                  who exhibited the signs and symptoms                                related comorbidity, the presence of the                                determine the most appropriate splits in
                                                  of a swallowing disorder, as identified                             condition or service was associated with                                resident SLP case-mix groups using
                                                  using K0100Z on the MDS 3.0,                                        at least a 43 percent increase in average                               these three variables. This methodology
                                                  demonstrated significantly higher SLP                               SLP costs per day. The presence of a                                    and the results of our analysis are more
                                                  costs than those who did not exhibit                                mild to severe cognitive impairment                                     thoroughly explained in sections 3.4.2
                                                  such signs and symptoms. Therefore, we                              was associated with at least a 100                                      and 3.5.2 of the SNF PMR Technical
                                                  considered including the presence of a                              percent increase in average SLP costs                                   Report. Based on the CART algorithm,
                                                  swallowing disorder as a component in                               per day. Similar to the analysis                                        we determined that 18 case-mix groups
                                                  predicting SLP costs. However, when                                 conducted in relation to the PT/OT                                      would be necessary to classify residents
                                                  this information was presented during                               component, the project team ran cost                                    adequately in terms of their SLP costs,
                                                  the October 2016 TEP, stakeholders                                  regressions on a broad list of possible                                 in a manner that captures sufficient
                                                  indicated that the signs and symptoms                               conditions, with that list being available                              variation in SLP costs without creating
                                                  of a swallowing disorder may not be as                              in section 3.5.1 of the SNF PMR                                         unnecessarily granular separations. The
                                                  readily observed when a resident is on                              Technical Report (available at https://                                 accuracy of this model was confirmed
                                                  a mechanically-altered diet, and                                    www.cms.gov/Medicare/Medicare-Fee-                                      by comparing the ability of the CART
                                                  requested that we also consider                                     for-Service-Payment/SNFPPS/                                             model and various consistent split
                                                  evaluating the presence of a                                        therapyresearch.html). Based on that                                    models to predict SLP costs per day.
                                                  mechanically-altered diet, as                                       analysis, and in consultation with                                      More information on this analysis can
                                                  determined by item K0510C2 on the                                   stakeholders during our TEPs and                                        be found in section 3.5.2 of the SNF
                                                  MDS 3.0, as an additional predictor of                              clinicians, we have identified the                                      PMR technical report available at
                                                  increased SLP costs. Our project team                               conditions listed in Table 8 to be those
                                                  conducted this analysis and found that                                                                                                      https://www.cms.gov/Medicare/
                                                                                                                      SLP-related comorbidities which we                                      Medicare-Fee-for-Service-Payment/
                                                  there was an associated increase in SLP                             believe would best serve to predict
                                                  costs when a mechanically-altered diet                                                                                                      SNFPPS/therapyresearch.html. We
                                                                                                                      relative differences in SLP costs.                                      provide the criteria for each of these
                                                  was present. Moreover, this analysis                                Acumen used diagnosis codes on the
                                                  revealed that while SLP costs may                                                                                                           groups, along with the CMI for each
                                                                                                                      most recent inpatient claim for each                                    group, in Table 9.
                                                  increase when either a swallowing                                   SNF stay and the SNF claim to identify
                                                  disorder or mechanically-altered diet is                            these diagnoses and found that residents                                   To help ensure that payments reflect
                                                  present, resident SLP costs increased                               with these conditions had much higher                                   the average relative resource use at the
                                                  even more when both of these items                                  SLP costs per day. More detail on these                                 per diem level, CMIs would be set to
                                                  were present. More detail on this                                   analyses can be found in section 3.5.1                                  reflect case-mix related relative
                                                  investigation and these analyses can be                             of the SNF PMR Technical Report                                         differences in costs across groups. CMIs
                                                  found in section 3.5.1 of the SNF PMR                               available at https://www.cms.gov/                                       for the SLP component would be
                                                  Technical Report. As a result, we agree                             Medicare/Medicare-Fee-for-Service-                                      calculated based on the average per
                                                  with the stakeholders that including a                              Payment/SNFPPS/                                                         diem costs of a case-mix group relative
                                                  mechanically-altered diet would be an                               therapyresearch.html.                                                   to the population average. Relative
                                                  important component of predicting                                                                                                           differences in costs due to different
                                                  relative increases in resident SLP costs,                                          TABLE 8—SLP-RELATED                                      length of stay distribution across groups
                                                  and thus, in addition to the clinical                                                  COMORBIDITIES                                        are removed from the calculation. In
                                                  categorization, we are considering                                                                                                          this calculation, average per diem costs
                                                  classifying residents as having either a                             Aphasia .....................      Laryngeal Cancer.                   equal total SLP costs in the group
                                                  swallowing disorder, being on a                                      CVA, TIA, or Stroke ..             Apraxia.                            divided by number of utilization days in
                                                  mechanically altered diet, both, or                                  Hemiplegia or                      Dysphagia.                          the group. This method would help
                                                  neither for purposes of classifying the                                Hemiparesis.                                                         ensure that the share of payment for
                                                  resident under the SLP component.                                    Traumatic Brain Injury             ALS.                                each case-mix group is equal to its share
                                                     As a final aspect of the SLP                                      Tracheostomy (while                Oral Cancers.                       of total costs of the component. The full
                                                  component case-mix adjustment, we                                      Resident).                                                           methodology used to develop CMIs is
                                                                                                                       Ventilator (while Resi-            Speech and Lan-
                                                  found that the presence of a cognitive                                 dent).                             guage Deficits.
                                                                                                                                                                                              presented in section 3.12 of the SNF
                                                  impairment or SLP-related comorbidity                                                                                                       PMR Technical Report.
pmangrum on DSK3GDR082PROD with PROPOSALS1




                                                                                                            TABLE 9—SLP CASE-MIX CLASSIFICATION GROUPS
                                                                                                                                           Presence of                            SLP-related
                                                                                                                                        swallowing disorder                   comorbidity or mild                    Case-mix   Case-mix
                                                                              Clinical category                                          or mechanically-                     to severe cognitive                     group      index
                                                                                                                                            altered diet                          impairment

                                                  Acute Neurologic ...............................................................    Both .............................   Both .............................   SA                    4.19
                                                                                                                                      Both .............................   Either ...........................   SB                    3.71
                                                                                                                                      Both .............................   Neither .........................    SC                    3.37



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                                                                                   Federal Register / Vol. 82, No. 85 / Thursday, May 4, 2017 / Proposed Rules                                                                     20995

                                                                                                  TABLE 9—SLP CASE-MIX CLASSIFICATION GROUPS—Continued
                                                                                                                                           Presence of                            SLP-related
                                                                                                                                        swallowing disorder                   comorbidity or mild                    Case-mix   Case-mix
                                                                              Clinical category                                          or mechanically-                     to severe cognitive                     group      index
                                                                                                                                            altered diet                          impairment

                                                                                                                                      Either ...........................   Both .............................   SD                    3.67
                                                                                                                                      Either ...........................   Either ...........................   SE                    3.12
                                                                                                                                      Either ...........................   Neither .........................    SF                    2.54
                                                                                                                                      Neither .........................    Both .............................   SG                    2.97
                                                                                                                                      Neither .........................    Either ...........................   SH                    2.06
                                                                                                                                      Neither .........................    Neither .........................    SI                    1.28
                                                  Non-Neurologic ..................................................................   Both .............................   Both .............................   SJ                    3.21
                                                                                                                                      Both .............................   Either ...........................   SK                    2.96
                                                                                                                                      Both .............................   Neither .........................    SL                    2.63
                                                                                                                                      Either ...........................   Both .............................   SM                    2.62
                                                                                                                                      Either ...........................   Either ...........................   SN                    2.22
                                                                                                                                      Either ...........................   Neither .........................    SO                    1.70
                                                                                                                                      Neither .........................    Both .............................   SP                    1.91
                                                                                                                                      Neither .........................    Either ...........................   SQ                    1.38
                                                                                                                                      Neither .........................    Neither .........................    SR                    0.61



                                                    As with the PT/OT component, under                                 2012 for budget-neutrality purposes,                                      We believe that the more nuanced and
                                                  the RCS–I case-mix model, all residents                              what is clear is that two residents, who                               resident-centered classifications in
                                                  would be classified into one, and only                               may have significantly different nursing                               current RUG–IV non-rehabilitation
                                                  one, of these 18 SLP case-mix groups.                                needs, are nevertheless deemed to have                                 categories are obscured under the
                                                  As opposed to the RUG–IV system that                                 the very same nursing costs, and SNFs                                  current payment system, which utilizes
                                                  determines therapy payments based                                    would receive the same nursing                                         only a single RUG–IV category for
                                                  only on the amount of therapy provided,                              payment for each. Given the discussion                                 payment purposes and which has over
                                                  under the RCS–I case-mix model,                                      above, which noted that approximately                                  90 percent of resident days billed using
                                                  residents are classified into SLP case-                              60 percent of resident days are billed                                 a rehabilitation RUG. The RUG–IV non-
                                                  mix groups based on resident                                         using one of three Ultra-High                                          rehabilitation groups classify residents
                                                  characteristics shown to be predictive of                            Rehabilitation RUGs (two of which have                                 based on their ADL score, the use of
                                                  SLP utilization. Thus, we believe that                               the same nursing index), the current                                   extensive services, the presence of
                                                  the SLP case-mix groups would provide                                case-mix model effectively classifies a                                specific clinical conditions such as
                                                  a better measure of resource use and                                 significant portion of SNF therapy                                     depression, pneumonia or septicemia,
                                                  would provide for more appropriate                                   residents as having exactly the same                                   and the use of restorative nursing
                                                  payment under the SNF PPS. We invite                                 degree of nursing needs and requiring                                  services, among other characteristics.
                                                  comments on the series of ideas and the                              exactly the same amount of nursing                                     These characteristics are associated with
                                                  approach we are considering above                                    resources. As such, we believe that                                    nursing utilization, and the STRIVE
                                                  associated with the SLP component of                                 further refinement of the case-mix                                     study accounted for relative differences
                                                  the RCS–I case-mix model.                                            model would be appropriate to better                                   in nursing staff time across groups.
                                                                                                                       differentiate among patients with                                      Therefore, we are considering
                                                  d. Nursing Case-Mix Classification
                                                                                                                       different nursing needs.                                               continuing to use the existing non-
                                                     The RUG–IV classification system                                     An additional concern in the RUG–IV                                 rehabilitation RUGs for the purposes of
                                                  first divides residents into                                         system is the use of therapy minutes to                                resident classification under RCS–I, but
                                                  ‘‘rehabilitation residents’’ and ‘‘non-                              determine not only therapy payments,                                   also modify nursing payment so that a
                                                  rehabilitation residents’’ based on the                              but also nursing payments. For example,                                resident’s non-rehabilitation RUG
                                                  amount of therapy a resident receives                                residents classified into the RUB RUG                                  classification is always a factor in a
                                                  and other aspects of a resident’s care.                              fall in the same ADL score range as                                    resident’s payment calculation.
                                                  For rehabilitation residents, where the                              residents classified into the RVB RUG.                                    For example, consider two residents.
                                                  primary driver of payment classification                             The only difference between those                                      The first classifies into the RUB
                                                  is the intensity of therapy services that                            residents is the number of therapy                                     rehabilitation RUG (on the basis of the
                                                  a resident receives, differences in                                  minutes that they received. However,                                   resident’s therapy minutes) and into the
                                                  nursing needs can be obscured. For                                   the difference in payment that results                                 CC1 non-rehabilitation RUG (on the
                                                  example, for two residents classified                                from this difference in therapy minutes                                basis of having Pneumonia), while the
                                                  into the RUB RUG–IV category, which                                  impacts not only the RUG–IV therapy                                    second classifies into the RUB
                                                  would occur on the basis of therapy                                  component, but also the nursing                                        rehabilitation RUG (on the basis of the
                                                  intensity and ADL score alone, the                                   component: Nursing payments for RUB                                    resident’s therapy minutes) and the HC1
pmangrum on DSK3GDR082PROD with PROPOSALS1




                                                  nursing component for each of these                                  residents are 40 percent higher than                                   non-rehabilitation RUG (on the basis of
                                                  residents would be multiplied by a CMI                               nursing payments for RVB residents. As                                 the resident being a Quadriplegic with
                                                  of 1.56. This reflects that residents in                             a result of this feature of the RUG–IV                                 a high ADL score). Under the current
                                                  that group were found, during our                                    system, the amount of therapy minutes                                  RUG–IV based payment model, the
                                                  previous STM work, to have nursing                                   provided to a resident is one of the main                              billing for both residents would utilize
                                                  costs 56 percent higher than residents                               sources of variation in nursing                                        only the RUB rehabilitation RUG,
                                                  with a 1.00 index. We would note that                                payments, at the expense of other                                      despite clear differences in their
                                                  while this CMI also includes                                         resident characteristics that may better                               associated nursing needs and resident
                                                  adjustments made in FY 2010 and FY                                   reflect nursing needs.                                                 characteristics. We are considering an


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                                                  20996                     Federal Register / Vol. 82, No. 85 / Thursday, May 4, 2017 / Proposed Rules

                                                  approach where, under the RCS–I                         Medicare/Medicare-Fee-for-Service-                            TABLE 10—NURSING INDEXES UNDER
                                                  payment model, for purposes of                          Payment/SNFPPS/TimeStudy.html.                                 RCS–I CLASSIFICATION MODEL—
                                                  determining payment under the nursing                      (4) Smooth WWST estimates that do                           Continued
                                                  component, the first resident would be                  not match RUG hierarchy, as was done
                                                  classified into CC1, while the second                   during the STRIVE study. RUG–IV, from                                                             Current
                                                                                                          which the nursing RUGs are derived, is                                                                       Nursing
                                                  would be classified into HC1. We                                                                                              RUG–IV                      nursing   case-mix
                                                  believe that classifying the residents in               a hierarchical classification in which                                category                   case-mix     index
                                                                                                          payment should track clinical acuity. It                                                           index
                                                  this manner for payment purposes
                                                  would capture variation in nursing costs                is intended that residents who are more                      HD1   ...........................       1.60       1.86
                                                  in a more accurate and granular way                     clinically complex or who have other                         HC2   ...........................       1.89       2.06
                                                  than relying on the rehabilitation RUG’s                indicators of acuity, including a higher                     HC1   ...........................       1.48       1.84
                                                  nursing CMI.                                            ADL score, depression, or restorative                        HB2   ...........................       1.86       1.88
                                                     In addition to considering the use of                nursing services, would receive higher                       HB1   ...........................       1.46       1.67
                                                  the resident’s non-rehabilitation RUG–                  payment. When STRIVE researchers                             LE2   ...........................       1.96       1.88
                                                  IV classification for purposes of RCS–I                 estimated WWST for each RUG, several                         LE1   ...........................       1.54       1.68
                                                                                                          inversions occurred because of                               LD2   ...........................       1.86       1.84
                                                  payments, we also are considering the                                                                                LD1   ...........................       1.46       1.64
                                                  possibility of revising the existing                    imprecision in the means. These are                          LC2   ...........................       1.56       1.55
                                                  nursing CMIs and updating these                         defined as WWST estimates that are not                       LC1   ...........................       1.22       1.39
                                                  indexes through use of the STRIVE STM                   in line with clinical expectations. The                      LB2   ...........................       1.45       1.48
                                                  data which were originally used to                      methodology used to smooth WWST                              LB1   ...........................       1.14       1.32
                                                  create these indexes. Under the current                 estimates is explained in Phase II of the                    CE2   ...........................       1.68       1.84
                                                  payment system, non-rehabilitation                      STRIVE study. A link to the STRIVE                           CE1   ...........................       1.50       1.60
                                                  nursing indexes were calculated to                      study is available at https://                               CD2   ...........................       1.56       1.74
                                                                                                          www.cms.gov/Medicare/Medicare-Fee-                           CD1   ...........................       1.38       1.51
                                                  capture variation in nursing utilization                                                                             CC2   ...........................       1.29       1.49
                                                  by using only the staff time collected for              for-Service-Payment/SNFPPS/                                  CC1   ...........................       1.15       1.30
                                                  the non-rehabilitation population. We                   TimeStudy.html.                                              CB2   ...........................       1.15       1.37
                                                  believe that, to provide a more accurate                   (5) Calculate nursing indexes, which                      CB1   ...........................       1.02       1.19
                                                  sense of the relative nursing resource                  reflect the average WWST for each non-                       CA2   ...........................       0.88       1.03
                                                  needs of the SNF population, the                        rehabilitation RUG divided by the                            CA1   ...........................       0.78       0.89
                                                  nursing indexes should reflect nursing                  average WWST for the study population                        BB2   ...........................       0.97       1.05
                                                  utilization for all residents. To                       used throughout our research. This                           BB1   ...........................       0.90       0.97
                                                                                                          analysis is presented in section 3.6.6 of                    BA2   ...........................       0.70       0.74
                                                  accomplish this, Acumen first                                                                                        BA1   ...........................       0.64       0.68
                                                  replicated the methodology described in                 the SNF PMR Technical Report.
                                                                                                                                                                       PE2   ...........................       1.50       1.60
                                                  the FY 2010 SNF PPS rule (74 FR 22236                      Through this refinement, we believe
                                                                                                                                                                       PE1   ...........................       1.40       1.47
                                                  through 22238), but classified the full                 the nursing indexes under the RCS–I                          PD2   ...........................       1.38       1.48
                                                  STRIVE study population under non-                      classification model would better reflect                    PD1   ...........................       1.28       1.36
                                                  rehabilitation RUGs using updated wage                  the varied nursing resource needs of the                     PC2   ...........................       1.10       1.23
                                                  data. That methodology proceeded                        full SNF population. In Table 10, we                         PC1   ...........................       1.02       1.13
                                                  according to the following steps:                       provide the nursing indexes under the                        PB2   ...........................       0.84       0.98
                                                                                                          RCS–I classification model.                                  PB1   ...........................       0.78       0.90
                                                     (1) Calculate average wage-weighted                                                                               PA2   ...........................       0.59       0.68
                                                  staff time (WWST) for each STRIVE                          To help ensure that payment reflects
                                                                                                          the average relative resource use at per                     PA1   ...........................       0.54       0.63
                                                  study resident using FY 2015 SNF
                                                  wages.                                                  diem level, nursing CMIs would be set
                                                                                                          to reflect case-mix related relative                         As with the previously discussed
                                                     (2) Assign the full STRIVE population                                                                             components, under the RCS–I case-mix
                                                                                                          differences in WWST across groups.
                                                  to the appropriate non-rehabilitation                                                                                model, all residents would be classified
                                                                                                          Nursing CMIs would be calculated
                                                  RUG.                                                                                                                 into one, and only one, of these 43
                                                                                                          based on the average per diem nursing
                                                     (3) Apply sample weights to WWST                                                                                  nursing case-mix groups.
                                                                                                          WWST of a case-mix group relative to
                                                  estimates to allow for unbiased                                                                                         We also used the STRIVE data to
                                                                                                          the population average. In this
                                                  population estimates. The reason for                                                                                 quantify the effects of HIV/AIDS
                                                                                                          calculation, average per diem WWST
                                                  this weighting is that the STRIVE study                                                                              diagnosis on nursing resource use.
                                                                                                          equals total WWST in the group divided
                                                  was not a random sample of residents.                                                                                Acumen controlled for case mix by
                                                                                                          by number of utilization days in the
                                                  Certain key subpopulations, such as                                                                                  including the RCS–I resident groups (in
                                                                                                          group. The full methodology used to
                                                  residents with HIV/AIDS, were over-                                                                                  this case, the nursing RUGs) as
                                                                                                          develop CMIs is presented in section
                                                  sampled to ensure that there were                                                                                    independent variables. The results show
                                                                                                          3.12 of the SNF PMR Technical Report.
                                                  enough residents to draw conclusions                                                                                 that even after controlling for nursing
                                                  on the subpopulations’ resource use. As                                                                              RUG, HIV/AIDS status is associated
                                                                                                          TABLE 10—NURSING INDEXES UNDER                               with a positive and significant increase
                                                  a result, STRIVE researchers also
                                                  developed sample weights, equal to the                    RCS–I CLASSIFICATION MODEL                                 in nursing utilization. Based on the
                                                  inverse of each resident’s probability of                                                                            results of regression analyses, we found
                                                                                                                                               Current
pmangrum on DSK3GDR082PROD with PROPOSALS1




                                                  selection, to permit calculation of                                                                       Nursing    that wage-weighted nursing staff time is
                                                                                                                  RUG–IV                       nursing
                                                  unbiased population estimates.                                                                           case-mix    19 percent higher for residents with
                                                                                                                  category                    case-mix       index
                                                  Applying the sample weights to a                                                              index                  HIV/AIDS. (The weighting adjusted this
                                                  summary statistic results in an estimate                                                                             estimate to account for the deliberate
                                                                                                          ES3   ...........................        3.58         3.84
                                                  that is representative of the actual                                                                                 over-sampling of certain sub-
                                                                                                          ES2   ...........................        2.67         2.90
                                                  population. The sample weight method                    ES1   ...........................        2.32         2.77   populations in the STRIVE study, as
                                                  is explained in Phase I of the STRIVE                   HE2   ...........................        2.22         2.27   described above.) Based on these
                                                  study. A link to the STRIVE study is                    HE1   ...........................        1.74         2.02   findings, we concluded that the RCS–I
                                                  available at https://www.cms.gov/                       HD2   ...........................        2.04         2.08   nursing groups may not completely


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                                                                            Federal Register / Vol. 82, No. 85 / Thursday, May 4, 2017 / Proposed Rules                                           20997

                                                  capture the additional nursing costs                       In response to comments on the 1998                consideration as part of the NTA
                                                  associated with HIV/AIDS residents.                     interim final rule which served to                    component. Particularly, some panelists
                                                  More information on this analysis can                   establish the SNF PPS, we published a                 expressed concern that including age as
                                                  be found in section 3.8.2 of the SNF                    final rule on July 30, 1999 (64 FR                    a determinant of NTA payment could
                                                  PMR technical report available at                       41644). In this final rule, we                        create access issues for the older
                                                  https://www.cms.gov/Medicare/                           acknowledged the commenters’                          population.
                                                  Medicare-Fee-for-Service-Payment/                       concerns about the new system’s ability                  With regard to capturing comorbidity
                                                  SNFPPS/therapyresearch.html. Thus, as                   to account accurately for NTA costs,                  information, the project team first
                                                  part of the case-mix adjustment of the                  such as the following:                                mapped ICD–10 diagnosis codes from
                                                  nursing component, we are considering                     There were a number of comments                     the prior inpatient claim, SNF claim,
                                                  a 19 percent increase in payment for the                expressing concern with the adequacy of the           and Section I of the 5-day MDS
                                                  nursing component for residents with                    PPS rates to cover the costs of ancillary             assessment to condition categories
                                                  HIV/AIDS. This adjustment would be                      services other than occupational, physical,           (CCs), which provide a broader sense of
                                                  applied based on the presence of ICD–                   and speech therapy (non-therapy ancillaries),         the impact of similar conditions on NTA
                                                  10–CM code B20 on the SNF claim.                        including such things as drugs, laboratory            costs. The full list of conditions and
                                                                                                          services, respiratory therapy, and medical            extensive services considered for
                                                    We invite comments on the series of                   supplies. Prescription drugs or medication
                                                  ideas and the approach we are                                                                                 inclusion in the NTA component
                                                                                                          therapy were frequently noted areas of
                                                  considering above associated with the                   concern due to their potentially high cost for        appears in the Appendix of the SNF
                                                  nursing component of the RCS–I case-                    particular residents. Some commenters                 PMR Technical Report available at
                                                  mix model.                                              suggested that the RUG–III case-mix                   https://www.cms.gov/Medicare/
                                                                                                          classification methodology does not                   Medicare-Fee-for-Service-Payment/
                                                  e. Non-Therapy Ancillary Case-Mix                       adequately provide for payments that                  SNFPPS/therapyresearch.html. This list
                                                  Classification                                          account for the variation in, or the real costs       was meant to encompass as many
                                                                                                          of, these services provided to their residents.       conditions and extensive services as
                                                     Currently under the SNF PPS,                         (64 FR 41647)
                                                                                                                                                                possible from the MDS assessment and
                                                  payments for NTA costs incurred by                        In response to those comments, we                   the CCs. We found, using cost
                                                  SNFs are incorporated into the nursing                  stated that ‘‘we are funding substantial              regressions, that certain comorbidity
                                                  component, which means that the CMIs                    research to examine the potential for                 conditions and extensive services were
                                                  used to adjust the nursing component of                 refinements to the case-mix                           highly predictive of relative differences
                                                  the SNF PPS are intended to reflect not                 methodology, including an examination                 in resident NTA costs. These conditions
                                                  only differences in nursing resource use,               of medication therapy, medically                      and services are identified in Table 11.
                                                  but also NTA costs. However, there have                 complex patients, and other nontherapy                More information on this analysis can
                                                  been concerns that the current nursing                  ancillary services.’’ (64 FR 41648). Since            be found in section 3.7.1 of the SNF
                                                  CMIs do not accurately reflect the basis                that time, we have discussed various                  PMR technical report available at
                                                  for or the magnitude of relative                        research initiatives engaged in                       https://www.cms.gov/Medicare/
                                                  differences in resident NTA costs. In its               identifying a more appropriate means to               Medicare-Fee-for-Service-Payment/
                                                  March 2016 Report to Congress,                          case-mix adjust SNF PPS payments to                   SNFPPS/therapyresearch.html. We
                                                  MedPAC wrote that ‘‘Almost since its                    reflect relative differences in resident              would note that, based on our analysis
                                                  inception, the SNF PPS has been                         NTA costs. In this ANPRM, we are                      and feedback from stakeholders at the
                                                  criticized for encouraging the provision                considering such a methodology, which                 June 2016 TEP, certain services which
                                                  of unnecessary rehabilitation therapy                   we believe would case-mix adjust SNF                  showed increased NTA costs were
                                                  services and not accurately targeting                   PPS payments more appropriately to                    eliminated from consideration based on
                                                  payments for nontherapy ancillary                       reflect differences in NTA costs.                     potential adverse incentives which may
                                                  (NTA) services such as drugs                              Following the same methodology we                   be created by linking these services to
                                                  (Government Accountability Office                       used for the PT/OT and SLP                            payment. Oxygen therapy and BiPAP/
                                                  2002, Government Accountability Office                  components, the project team ran cost                 CPAP were excluded from
                                                  1999, White et al. 2002).’’ (available at               regression models to determine which                  consideration. Clinicians associated
                                                  http://medpac.gov/docs/default-source/                  resident characteristics may be                       with the project team noted that these
                                                  reports/chapter-7-skilled-nursing-                      predictive of relative increases in NTA               services are easily delivered and prone
                                                  facility-services-march-2016-report-                    costs. The three cost-related resident                to overutilization. Additionally, the
                                                  .pdf). While the PT/OT and SLP                          characteristics identified through this               costs for these treatments for respiratory
                                                  components were designed to address                     analysis were resident comorbidities,                 conditions are likely captured by the
                                                  the first criticism raised by MedPAC                    the use of extensive services (services               increase in costs associated with MDS
                                                  above, the NTA component discussed in                   provided to residents that are                        item I6200 (asthma, COPD, or chronic
                                                  this section was designed to address the                particularly expensive and/or invasive),              lung disease). Finally, three CCs are
                                                  second criticism—specifically, that the                 and resident age. A simple resident                   excluded due to concerns about coding
                                                  current manner of case-mix adjusting for                classification generated by CART using                reliability: 33 (inflammatory bowel
                                                  NTAs under the RUG–IV case-mix                          these three characteristics alone                     disease), 57 (personality disorders), and
                                                  system is inadequate in adjusting, in a                 explained 11.7 percent of the variation               66 (attention deficit disorder).
                                                  targeted manner, for relative differences               in NTA costs per day. We would note                      Having identified the list of relevant
pmangrum on DSK3GDR082PROD with PROPOSALS1




                                                  in resident NTA costs. As noted in the                  that while we did find a correlation                  conditions and services for adjusting
                                                  quotation from MedPAC above,                            between relative differences in NTA                   NTA payments, we considered different
                                                  MedPAC is not the only group to offer                   costs and resident age, we also found                 options for how to capture the variation
                                                  this critique of the SNF PPS. Just as the               that the correlation between NTA costs                in NTA costs explained by these
                                                  aforementioned criticisms that MedPAC                   and resident comorbidities and                        identified conditions and services. One
                                                  cited have existed almost since the                     extensive services was much stronger                  such method would be merely to count
                                                  inception of the SNF PPS itself, ideas                  and heard concerns from TEP panelists                 the number of comorbidities and
                                                  for addressing this concern have a                      during the June 2016 TEP, which led us                services a resident receives and assign a
                                                  similarly long history.                                 to remove age from further                            score to that resident based on this


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                                                  20998                     Federal Register / Vol. 82, No. 85 / Thursday, May 4, 2017 / Proposed Rules

                                                  simple count. We found that this option                 where the assessment provider can fill                specifically, HIV/AIDS diagnosis
                                                  did account for the additive effect of                  in additional active diagnoses (in the                information reported on the MDS would
                                                  having multiple comorbidities and                       form of ICD–10 codes) for the resident                be ignored by the GROUPER software
                                                  extensive services, but did not                         that are not explicitly on the MDS. In                used to classify a resident into an NTA
                                                  adequately reflect the relative                         the case of Parenteral/IV Feeding, we                 case-mix group. Instead, providers
                                                  differences in the impact of certain                    are considering the possibility of                    would be instructed to report to us on
                                                  higher-cost conditions and services. We                 separating this item into a high intensity            the associated SNF claims the HIPPS
                                                  also considered a tier system similar to                item and a low intensity item, similar to             code provided to the SNF on the
                                                  the one used in the IRF PPS, where SNF                  how it is defined in the RUG–IV system.               validation report associated with that
                                                  residents would be placed into payment                  For a resident to qualify for the high                assessment. The provider would then,
                                                  tiers based on the costliest comorbidity                intensity category, the percent of                    following current protocol, enter ICD–
                                                  or extensive service. However, we found                 calories taken in by the resident by                  10–CM code B20 on the associated SNF
                                                  that this option did not account for the                parenteral or tube feeding, as reported               claim, as if it were being coded to
                                                  additive effect noted above. To address                 in item K0710A2 on the MDS 3.0, must                  receive payment through the current
                                                  both of these issues, we are considering                be greater than 50 percent. To qualify                AIDS add-on payment. The PRICER
                                                  the possibility of basing a resident’s                  for the low intensity category, the                   software, which we use to determine the
                                                  NTA score (which would be used to                       percent of calories taken in by the                   appropriate per diem payment for a
                                                  classify the resident into an NTA case-                 resident by parenteral or tube feeding,               provider based on their wage index and
                                                  mix classification group) on a weighted-                as reported in item K0710A2 on the                    other factors, would make the
                                                  count methodology. Specifically, as                     MDS 3.0, must be greater than 25                      adjustment to the resident’s NTA case-
                                                  shown in Table 11, each of the                          percent but less than or equal to 50                  mix group, based on the presence of the
                                                  comorbidities and services which factor                 percent, and the resident must receive                B20 code on the claim, and adjust the
                                                  into a resident’s NTA classification is                 an average fluid intake by IV or tube                 associated per diem payment based on
                                                  assigned a certain number of points                     feeding of at least 501cc per day, as
                                                                                                                                                                the adjusted resident HIPPS code.
                                                  based on its relative impact on a                       reported in item K0710B2 of the MDS
                                                                                                                                                                Again, we would note that this
                                                  resident’s NTA costs. Those conditions                  3.0. The criteria used to distinguish
                                                                                                                                                                methodology follows the same logic as
                                                  and services with a greater impact on                   between high and low intensity
                                                                                                                                                                the SNF PPS currently uses to pay the
                                                  NTA costs are assigned more points,                     parenteral or tube feeding is the same as
                                                                                                                                                                temporary AIDS add-on adjustment, but
                                                  while those with less of an impact are                  is used to classify residents using this
                                                                                                                                                                merely changes the target and type of
                                                  assigned fewer points. Points are                       variable in the RUG–IV classification.
                                                                                                                                                                adjustment from the SNF PPS per diem
                                                  assigned by grouping together                           We also want to note that the source of
                                                                                                          the HIV/AIDS score is listed as coming                to the NTA component of the RCS–I
                                                  conditions and extensive services with
                                                  similar ordinary least squares (OLS)                    from the SNF claim. This is because                   case-mix model. The difference is that
                                                  regression estimates. The regression                    certain states, comprising 16 in all, have            while under the current system, the
                                                  used the selected conditions and                        state laws which prevent the reporting                presence of the B20 code would lead to
                                                  extensive services to predict NTA costs                 of HIV/AIDS diagnosis information to us               a 128 percent increase in the per diem
                                                  per day. More information on this                       through the current assessment system                 rate, under RCS–I, the presence of the
                                                  methodology and analysis can be found                   and/or prevent us from seeing such                    B20 code would mean the addition of 8
                                                  in section 3.7.1 of the SNF PMR                         diagnosis information within that                     points (as determined by the OLS
                                                  technical report available at https://                  system, should that information be                    regression described above) to the
                                                  www.cms.gov/Medicare/Medicare-Fee-                      mistakenly reported. The states are                   resident’s NTA score and categorize the
                                                  for-Service-Payment/SNFPPS/                             Alabama, Alaska, California, Colorado,                resident into the appropriate NTA
                                                  therapyresearch.html. The effect of this                Connecticut, Idaho, Illinois,                         group, as well as an adjustment to the
                                                  methodology is that the NTA                             Massachusetts, Nevada, New                            nursing component, as described in
                                                  component would adequately reflect                      Hampshire, New Jersey, New Mexico,                    section III.D.3.d. of this ANPRM.
                                                  relative differences in NTA costs of each               South Carolina, Texas, Washington, and                   Table 11 provides the list of
                                                  condition or service, as well as the                    West Virginia.                                        conditions and extensive services that
                                                  additive effect of having multiple                         Given this restriction, it would not be            would be used for NTA classification,
                                                  comorbidities.                                          possible to have SNFs utilize the MDS                 the source of that information, the tier
                                                     A resident’s total comorbidity/                      3.0 as the vehicle to report HIV/AIDS                 into which each item falls, and the
                                                  extensive services score, which would                   diagnosis information for purposes of                 associated number of points for that
                                                  be the sum of the points associated with                determining a resident’s NTA                          condition. The tier for each comorbidity
                                                  all of a resident’s comorbidities and                   classification. We note that, currently,              condition and extensive service is
                                                  services, would be used to classify the                 we use a claims reporting mechanism as                determined based on the number of
                                                  resident into an NTA case-mix group.                    the basis for the temporary AIDS add-on               points assigned to that condition. For
                                                  For conditions and services where the                   payment which exists under the current                example, all comorbidities assigned 2
                                                  source is indicated as MDS item I8000,                  SNF PPS. To address the issue                         points are in the ‘‘medium’’ tier. The
                                                  we would consider providing a                           discussed above with respect to                       tiers are only used as a mechanism to
                                                  crosswalk between the listed condition                  reporting of HIV/AIDS diagnosis                       simplify understanding of the points for
                                                  and the ICD–10–CM codes which may                       information under the RCS–I model, we                 each condition or extensive service.
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                                                  be coded to qualify that condition to                   are considering utilizing this existing               Only the points are factored into the
                                                  serve as part of the resident’s NTA                     claims reporting mechanism to                         determination of the comorbidity score
                                                  classification. MDS item I8000 is an                    determine a resident’s HIV/AIDS score                 and ultimately the NTA resident group
                                                  open-ended item in the MDS assessment                   for purposes of NTA classification. More              classification.




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                                                                                    Federal Register / Vol. 82, No. 85 / Thursday, May 4, 2017 / Proposed Rules                                                                                     20999

                                                                                   TABLE 11—CONDITIONS AND EXTENSIVE SERVICES USED FOR NTA CLASSIFICATION
                                                                  Condition/extensive service                                                                Source                                                  NTA tier                     Points

                                                  HIV/AIDS ................................................................    SNF Claim .............................................................    Ultra-High ....................                   +8
                                                  Parenteral/IV Feeding—High Intensity ..................                      MDS Item K0510A2 ..............................................            Very-High ....................                    +7
                                                  IV Medication .........................................................      MDS Item O0100H2 ..............................................            High .............................                +5
                                                  Parenteral/IV Feeding—Low Intensity ...................                      MDS Item K0710A2, K0710B2 .............................                    High .............................                +5
                                                  Ventilator/Respirator ..............................................         MDS Item O0100F2 ..............................................            High .............................                +5
                                                  Transfusion ............................................................     MDS Item O0100I2 ...............................................           Medium .......................                    +2
                                                  Kidney Transplant Status .......................................             MDS Item I8000 ....................................................        Medium .......................                    +2
                                                  Opportunistic Infections .........................................           MDS Item I8000 ....................................................        Medium .......................                    +2
                                                  Infection with multi-resistant organisms .................                   MDS Item I1700 ....................................................        Medium .......................                    +2
                                                  Cystic Fibrosis ........................................................     MDS Item I8000 ....................................................        Medium .......................                    +2
                                                  Multiple Sclerosis (MS) ..........................................           MDS Item I5200 ....................................................        Medium .......................                    +2
                                                  Major Organ Transplant Status .............................                  MDS Item I8000 ....................................................        Medium .......................                    +2
                                                  Tracheostomy ........................................................        MDS Item O0100E2 ..............................................            Medium .......................                    +2
                                                  Asthma, COPD, or Chronic Lung Disease ............                           MDS Item I6200 ....................................................        Medium .......................                    +2
                                                  Chemotherapy ........................................................        MDS Item O0100A2 ..............................................            Medium .......................                    +2
                                                  Diabetes Mellitus (DM) ..........................................            MDS Item I2900 ....................................................        Medium .......................                    +2
                                                  End-Stage Liver Disease .......................................              MDS Item I8000 ....................................................        Low ..............................                +1
                                                  Wound Infection (other than foot) ..........................                 MDS Item I2500 ....................................................        Low ..............................                +1
                                                  Transplant ..............................................................    MDS Item I8000 ....................................................        Low ..............................                +1
                                                  Infection Isolation ...................................................      MDS Item O0100M2 .............................................             Low ..............................                +1
                                                  MRSA .....................................................................   MDS Item I8000 ....................................................        Low ..............................                +1
                                                  Radiation ................................................................   MDS Item O0100B2 ..............................................            Low ..............................                +1
                                                  Diabetic Foot Ulcer ................................................         MDS Item M1040B ................................................           Low ..............................                +1
                                                  Bone/Joint/Muscle Infections/Necrosis ..................                     MDS Item I8000 ....................................................        Low ..............................                +1
                                                  Highest Ulcer Stage is Stage 4 .............................                 MDS Item M300D1 ................................................           Low ..............................                +1
                                                  Osteomyelitis and Endocarditis .............................                 MDS Item I8000 ....................................................        Low ..............................                +1
                                                  Suctioning ..............................................................    MDS Item O0100D2 ..............................................            Low ..............................                +1
                                                  DVT/Pulmonary Embolism .....................................                 MDS Item I8000 ....................................................        Low ..............................                +1



                                                    Given the NTA scoring methodology                                     relative to the population average.                                              TABLE 12—NTA CASE-MIX
                                                  described above, and following the same                                 Relative differences in costs due to                                              CLASSIFICATION GROUPS
                                                  methodology used for the PT/OT and                                      different length of stay distribution
                                                  SLP components, we then used the                                        across groups are removed from this                                                                                         NTA
                                                                                                                                                                                                                                           NTA
                                                  CART algorithm to determine the most                                    calculation. The other factor is the                                           NTA score range                  group    case-mix
                                                  appropriate splits in resident NTA case-                                                                                                                                                           index
                                                                                                                          average variable per diem adjustment
                                                  mix groups. This methodology is more                                    factor of the group relative to the                                   11+ .................................     NA               3.33
                                                  thoroughly explained in section 3.4.2 of                                population average. In this calculation,                              8–10 ...............................      NB               2.59
                                                  the SNF PMR Technical Report                                            average per diem costs equal total NTA                                6–7 .................................     NC               2.02
                                                  available at https://www.cms.gov/                                       costs in the group divided by number of                               3–5 .................................     ND               1.52
                                                  Medicare/Medicare-Fee-for-Service-                                      utilization days in the group, and                                    1–2 .................................     NE               1.16
                                                  Payment/SNFPPS/                                                                                                                               0 .....................................   NF               0.83
                                                                                                                          similarly the average variable per diem
                                                  therapyresearch.html. Based on the
                                                                                                                          adjustment factor equals the sum of
                                                  CART algorithm, we determined that 6
                                                  case-mix groups would be necessary to                                   NTA variable per diem adjustment                                      As with the previously discussed
                                                  classify residents adequately in terms of                               factors for all utilization days in the                               components, under the RCS–I case-mix
                                                  their NTA costs in a manner that                                        group divided by the number of                                        model, all residents would be classified
                                                  captures sufficient variation in NTA                                    utilization days. More information on                                 into one, and only one, of these 6 NTA
                                                  costs without creating unnecessarily                                    the variable per diem adjustments factor                              case-mix groups. The RCS–I case-mix
                                                  granular separations. More information                                  is discussed in section III.D.4 of this                               model creates a separate payment
                                                  on this analysis can be found in section                                ANPRM. This method would help                                         component for NTA services, as
                                                  3.7.2 of the SNF PMR technical report                                   ensure that the share of payment for                                  opposed to combining NTA and nursing
                                                  available at https://www.cms.gov/                                       each case-mix group is equal to its share                             into one component as in the RUG–IV
                                                  Medicare/Medicare-Fee-for-Service-                                      of total costs of the component, which                                system. This separation allows payment
                                                  Payment/SNFPPS/                                                         is consistent with the notion that per                                for NTA services to be based on resident
                                                  therapyresearch.html. We provide the                                    diem payments reflect differences in                                  characteristics that predict NTA
                                                  criteria for each of these groups, along                                                                                                      resource utilization, rather than nursing
                                                                                                                          average per diem relative resource use.
                                                  with the CMI for each group, in Table                                                                                                         staff time. Thus, we believe that the
                                                                                                                          The full methodology used to develop
                                                                                                                                                                                                NTA case-mix groups would provide a
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                                                  12.                                                                     CMIs is presented in section 3.12 of the
                                                    To help ensure that payment reflects                                                                                                        better measure of resource utilization
                                                                                                                          SNF PMR Technical Report.                                             and would lead to more accurate
                                                  the relative resource use at the per diem
                                                  level, CMIs would be set to reflect case-                                                                                                     payments under the SNF PPS.
                                                  mix related relative differences in costs                                                                                                       We invite comments on the series of
                                                  across groups. CMIs for the NTA                                                                                                               ideas and the approach we are
                                                  component would be calculated based                                                                                                           considering above associated with the
                                                  on two factors. One factor is the average                                                                                                     NTA component of the RCS–I case-mix
                                                  per diem costs of a case-mix group                                                                                                            model.


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                                                  21000                            Federal Register / Vol. 82, No. 85 / Thursday, May 4, 2017 / Proposed Rules

                                                  f. Payment Classifications Under RCS–I                                 component would be calculated by                                              be added together, along with the non-
                                                                                                                         multiplying the CMI for the resident’s                                        case-mix component payment rate, to
                                                    The current SNF PPS case-mix                                         group by the component federal base                                           create a resident’s total SNF PPS per
                                                  classification system, RUG–IV, classifies                              payment rate, and then by the specific                                        diem rate under RCS–I. This section
                                                  each resident into a single RUG, with a                                day in the variable per diem adjustment                                       describes how two hypothetical
                                                  single payment for all services. By                                    schedule (as discussed in section III.B.4.                                    residents would be classified into
                                                  contrast, the RCS–I case-mix                                           of this ANPRM). Additionally, for                                             payment groups under the current
                                                  classification system would classify                                   residents with HIV/AIDS indicated on                                          payment system and the RCS–I model
                                                  each resident into four components (PT/                                their claim, the nursing portion of                                           we are considering. To begin, consider
                                                  OT; SLP; NTA; and nursing) and                                         payment would be multiplied by 1.19                                           two residents, Resident A and Resident
                                                  provide a single payment based on these                                (as discussed in section III.B.3.d of this                                    B, with the resident characteristics
                                                  classifications. The payment for each                                  ANPRM). These payments would then                                             identified in Table 13.

                                                                                                          TABLE 13—HYPOTHETICAL RESIDENT CHARACTERISTICS
                                                                       Resident characteristics                                                                       Resident A                                                      Resident B

                                                  Rehabilitation Received? ..............................................            Yes ..............................................................................     Yes.
                                                  Therapy Minutes ...........................................................        730 ..............................................................................     730.
                                                  Extensive Services .......................................................         No ...............................................................................     No.
                                                  ADL Score ....................................................................     9 ..................................................................................   9.
                                                  Clinical Category ..........................................................       Acute Neurologic ........................................................              Major Joint Replacement.
                                                  Functional Score ..........................................................        15 ................................................................................    15.
                                                  Cognitive Impairment ...................................................           Moderate .....................................................................         Intact.
                                                  Swallowing Disorder? ...................................................           No ...............................................................................     No.
                                                  Mechanically Altered Diet? ...........................................             Yes ..............................................................................     No.
                                                  SLP Comorbidity? ........................................................          No ...............................................................................     No.
                                                  Comorbidity Score ........................................................         7 (IV Medication and DM) ..........................................                    1 (DVT).
                                                  Other Conditions ..........................................................        Dialysis ........................................................................      Septicemia.
                                                  Depression? .................................................................      No ...............................................................................     Yes.



                                                    Currently under the SNF PPS,                                         Neurologic group, the lack of any                                             4. Variable Per Diem Adjustment
                                                  Resident A and Resident B would be                                     swallowing disorder or mechanically-                                          Factors and Payment Schedule
                                                  classified into the same RUG–IV group.                                 altered diet, and absence of any SLP-
                                                  They both received rehabilitation, did                                 related comorbidity or cognitive                                                 Section 1888(e)(4)(G)(i) of the Act
                                                  not receive extensive services, received                                                                                                             provides that payments must be
                                                                                                                         impairment. For the Nursing
                                                  730 minutes of therapy, and have an                                                                                                                  adjusted for case mix, based on a
                                                                                                                         component, following the existing
                                                  ADL score of 9. This places the two                                                                                                                  resident classification system which
                                                                                                                         nursing case-mix methodology, Resident
                                                  residents into the ‘‘RUB’’ RUG–IV group                                                                                                              accounts for the relative resource
                                                                                                                         A would fall into group LC1, based on                                         utilization of different types of
                                                  and SNFs would be paid at the same                                     his use of dialysis services and an ADL
                                                  rate, despite the many differences                                                                                                                   residents. Additionally, section
                                                                                                                         score of 9, while Resident B would fall                                       1888(e)(1)(B) of the Act specifies that
                                                  between these two residents in terms of
                                                                                                                         into group HC2, due to the diagnosis of                                       payments to SNFs through the SNF PPS
                                                  their characteristics, expected care
                                                  needs, and predicted costs of care.                                    septicemia, presence of depression, and                                       must be made on a per-diem basis.
                                                    Under the RCS–I case-mix model,                                      ADL score of 9. Finally, with regard to                                       Currently under the SNF PPS, each RUG
                                                  however, these two residents would be                                  NTA classification, Resident A would                                          is paid at a constant per diem rate,
                                                  classified very differently. With regard                               be classified in group NC, with an NTA                                        regardless of how many days a resident
                                                  to the PT/OT component, Resident A                                     score of 7, while Resident B would be                                         is classified in that particular RUG.
                                                  would fall into group TN, as a result of                               classified in group NE., with an NTA                                          However, during the course of the SNF
                                                  his categorization in the Acute                                        score of 1. This demonstrates that,                                           PMR project, analyses on cost over the
                                                  Neurologic group, functional score                                     under the RCS–I case-mix model, more                                          stay for each of the case-mix adjusted
                                                  within the 14 to 18 range, and the                                     aspects of a resident’s unique                                                components revealed different trends in
                                                  presence of a moderate to severe                                       characteristics and needs factor into                                         resource utilization over the course of
                                                  cognitive impairment. Resident B,                                      determining the resident’s payment                                            the SNF stay. These analyses utilized
                                                  however, would fall into group TA for                                  classification, which makes for a more                                        costs derived from claim charges as a
                                                  the PT/OT component, as a result of his                                resident-centered case-mix model while                                        measure of resource utilization. Costs
                                                  categorization in the Major Joint                                      also eliminating, or greatly reducing, the                                    were derived by multiplying charges
                                                  Replacement group, a functional score                                  number of service-based factors which                                         from claims by the CCRs on facility-
                                                  within the 14 to 18 range, and the                                     are used to determine the resident’s                                          level costs reports. As described in
                                                  absence of any moderate or severe                                      payment classification. Because the                                           section III.B.3.b of this ANPRM, costs
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                                                  cognitive impairment. For the SLP                                      RCS–I system would be based on                                                better reflect differences in the relative
                                                  component, Resident A would be                                                                                                                       resource use of residents as opposed to
                                                                                                                         specific resident characteristics
                                                  classified into group SE., based on his                                                                                                              charges, which partly reflect decisions
                                                                                                                         predictive of resource utilization for
                                                  categorization in the Acute Neurologic                                                                                                               made by providers about how much to
                                                  group, the presence of Mechanically-                                   each component, we expect that                                                charge payers for certain services. In
                                                  Altered Diet and presence of moderate                                  payments would be better aligned with                                         examining costs over a stay, we found
                                                  cognitive impairment, while Resident B                                 resident need.                                                                that for certain categories of SNF
                                                  would be classified into group SR, based                                                                                                             services, notably therapy and NTA
                                                  on his categorization in the Non-                                                                                                                    services, costs declined over the course


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                                                                            Federal Register / Vol. 82, No. 85 / Thursday, May 4, 2017 / Proposed Rules                                                             21001

                                                  of a stay. Based on the claim submission                stay. This indicates that resource                    OT costs relative to the initial fourteen
                                                  schedule and variation in the point                     utilization for PT/OT and NTA services                days is 0.34 percent. Therefore, we
                                                  during the month when a stay began, we                  change over the course of the stay. More              believe a convenient and appropriate
                                                  were able to estimate resource use for a                information on these analyses can be                  way to reflect this in the adjustment
                                                  specific day in a stay. Facilities are                  found in section 3.9.1 of the SNF PMR                 factors would be to have a decline of 1
                                                  required to submit monthly claims.                      technical report available at https://                percent every 3 days after day 14. The
                                                  Each claim covers the period from the                   www.cms.gov/Medicare/Medicare-Fee-                    0.34 percent rate of decline is derived
                                                  first day during the month a resident is                for-Service-Payment/SNFPPS/                           from a regression model that estimates
                                                  in the facility to the end of the month.                therapyresearch.html. We were unable                  the level of resource use for each day in
                                                  If a resident was admitted on the first                 to assess potential changes in the level              the stay relative to the beginning of the
                                                  day of the month and remains in the                     of nursing costs over a resident’s stay,              stay. The regression methodology and
                                                  facility (and continues to have Part A                  in particular because nursing charges                 results are presented in section 3.9.3 of
                                                  SNF coverage) until the end of the                      are not separately identifiable in SNF                the SNF PMR Technical Report.
                                                  month, the claim for that month will                    claims, and nursing minutes are not                      NTA resource utilization, as described
                                                  include all days in the month. However,                 reported on the MDS assessments.                      above, exhibits a somewhat different
                                                  if a resident is admitted after the first               However, stakeholders (industry                       pattern. NTA costs are very high at the
                                                  day of the month, the first claim                       representatives and clinicians) at                    beginning of the stay, drop rapidly after
                                                  associated with the resident’s stay will                multiple TEPs indicated that nursing                  the first three days, and remain
                                                  be shorter than a month. To estimate                    costs tend to remain relatively constant              relatively stable from the fourth day of
                                                  resource utilization for each day in the                over the course of a resident’s stay.                 the stay. Starting on day 4 of a stay, the
                                                  stay, we used the marginal estimated                      Constant per diem rates, by definition,             per diem costs drop to roughly one-third
                                                  cost from claims of varying length based                do not track variations in resource use               of the per diem costs in the initial 3
                                                  on random variation in the day of a                     throughout a SNF stay, and we believe                 days. This suggests that many NTA
                                                  month when a stay began. To                             may allocate too few resources for SNF                services are provided in the first few
                                                  supplement this analysis, we also                       providers at the beginning of a stay.                 days of a SNF stay. Therefore, we are
                                                  looked at changes in the number of                      Given the trends in resource utilization              considering setting the NTA adjustment
                                                  therapy minutes reported in different                   discussed above, and that section                     factor for days 1 to 3 at 3.00 to reflect
                                                  assessments throughout the stay.                        1888(e)(4)(G)(i) of the Act requires the              the extremely high initial costs, and
                                                  Because therapy minutes are recorded                    case-mix classification system to                     then setting it at 1.00 (two-thirds lower
                                                  on the MDS, the presence of multiple                    account for relative resource use, we are             than the initial level) for subsequent
                                                  assessments throughout the stay                         considering adjustments to the PT/OT                  days. The adjustment factor was set at
                                                  provided information on changes in                      and NTA components in the RCS–I                       3.00 for the first 3 days and 1.00 after
                                                  resource use. For example, it was clear                 model under consideration to account                  (rather than, for example, 1.00 and 0.33,
                                                  whether the number of therapy minutes                   for the effect of length of stay on per               respectively) for simplicity.
                                                  a resident received changed from the 5-                 diem costs (the variable per diem                        Case-mix adjusted federal per diem
                                                  day assessment to the 14-day                            adjustments). We are not considering                  payment for a given component and a
                                                  assessment. The results from this                       such adjustments to the SLP and                       given day would be equal to the base
                                                  analysis were consistent with the cost                  nursing components based on findings                  rate for the relevant component (either
                                                                                                          and stakeholder feedback, as discussed                urban or rural), multiplied by the CMI
                                                  from claims analysis, and showed that
                                                                                                          above, that resource use tends to remain              for that resident, multiplied by the
                                                  on average, the number of therapy
                                                                                                          relatively constant over the course of a              variable per diem adjustment factor for
                                                  minutes is lower for assessments
                                                                                                          SNF stay.                                             that specific day, as applicable.
                                                  conducted later in the stay. This finding                 As noted above and as discussed more
                                                  is consistent across different lengths of                                                                     Additionally, as described in further
                                                                                                          thoroughly in section 3.9.4 of the SNF
                                                  stay. More information on these                                                                               detail in section III.B.3.d of this
                                                                                                          PMR Technical Report (available at
                                                  analyses can be found in section 3.9.1                                                                        ANPRM, an additional 19 percent
                                                                                                          https://www.cms.gov/Medicare/
                                                  of the SNF PMR technical report is                                                                            would be added to the nursing per-diem
                                                                                                          Medicare-Fee-for-Service-Payment/
                                                  available at https://www.cms.gov/                                                                             payment to account for the additional
                                                                                                          SNFPPS/therapyresearch.html), PT/OT
                                                  Medicare/Medicare-Fee-for-Service-                                                                            nursing costs associated with residents
                                                                                                          costs decline at a slower rate relative to
                                                  Payment/SNFPPS/                                                                                               who have HIV/AIDS. These payments
                                                                                                          the decline in NTA costs. Therefore, in
                                                  therapyresearch.html.                                                                                         would then be added together, along
                                                                                                          addition to considering a variable per
                                                     Analyses of the SLP component                                                                              with the non-case-mix component
                                                                                                          diem adjustment, we further are
                                                  revealed that the per diem costs remain                                                                       payment rate, to create a resident’s total
                                                                                                          considering to have separate adjustment
                                                  relatively constant over time, while the                schedules and indexes for the PT/OT                   SNF PPS per diem rate under the RCS–
                                                  PT/OT and NTA component cost                            component and the NTA component to                    I model under consideration.
                                                  analyses indicate that the per diem cost                                                                         We invite comments on the ideas and
                                                                                                          more closely reflect the rate of decline
                                                  for these two components decline over                                                                         the approach we are considering, as
                                                                                                          in resource utilization for each
                                                  the course of the stay. More specifically,                                                                    discussed above.
                                                                                                          component. Table 14 provides the
                                                  in the case of the PT/OT component,                     adjustment factors and schedule we are
                                                  costs start higher in the beginning of the              considering for the PT/OT component,                    TABLE 14—VARIABLE PER-DIEM AD-
                                                                                                                                                                  JUSTMENT FACTORS AND SCHED-
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                                                  stay and decline slowly over the course                 while Table 15 provides the adjustment
                                                  of the stay. The NTA component cost                     factors and schedule we are considering                 ULE—PT/OT
                                                  analyses indicate significantly increased               for the NTA component.
                                                  NTA costs at the beginning of a stay,                     In Table 14, the adjustment factor is                                                                 Adjustment
                                                                                                                                                                     Medicare payment days                          factor
                                                  consistent with how most SNF drug                       1.00 for days 1 to 14. This is because the
                                                  costs are typically incurred at the outset              analyses described above indicated that               1–14 ..........................................         1.00
                                                  of a SNF stay, and then drop to a much                  PT/OT costs remain relatively high for                15–17 ........................................          0.99
                                                  lower level that holds relatively                       the first 14 days and then decline. The               18–20 ........................................          0.98
                                                  constant over the remainder of the SNF                  estimated daily rate of decline for PT/               21–23 ........................................          0.97



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                                                  21002                            Federal Register / Vol. 82, No. 85 / Thursday, May 4, 2017 / Proposed Rules

                                                    TABLE 14—VARIABLE PER-DIEM AD- C. Use of the Resident Assessment                                                        for Days 1 to 14. Section 413.343(b),
                                                    JUSTMENT FACTORS AND SCHED- Instrument—Minimum Data Set,                                                                MDS 3.0 RAI Manual Chapter 2.5, 2.8.
                                                    ULE—PT/OT—Continued            Version 3                                                                                Unscheduled assessments, such as the
                                                                                                                       1. Potential Revisions to Minimum Data               Start of Therapy (SOT) Other Medicare
                                                       Medicare payment days                        Adjustment         Set (MDS) Completion Schedule                        Required Assessment (OMRA), the End
                                                                                                      factor                                                                of Therapy OMRA (EOT OMRA), the
                                                                                                                   Consistent with section 1888(e)(6)(B)                    Change of Therapy (COT) OMRA, and
                                                  24–26 ........................................                0.96
                                                                                                                of the Act, to classify residents under
                                                  27–29 ........................................                0.95                                                        the Significant Change in Status
                                                                                                                the SNF PPS, we use the MDS 3.0                             Assessment (SCSA or Significant
                                                  30–32 ........................................                0.94
                                                                                                                Resident Assessment Instrument.                             Change), may be required during the
                                                  33–35 ........................................                0.93
                                                                                                                Within the SNF PPS, there are two
                                                  36–38 ........................................                0.92                                                        resident’s Part A SNF stay when
                                                  39–41 ........................................                categories of assessments, scheduled
                                                                                                                0.91                                                        triggered by certain defined events. For
                                                  42–44 ........................................                and unscheduled. In terms of scheduled
                                                                                                                0.90                                                        example, if a resident is being
                                                  45–47 ........................................                assessments, SNFs are required to
                                                                                                                0.89
                                                  48–50 ........................................                complete assessments on or around
                                                                                                                0.88                                                        discharged from therapy services, but
                                                  51–53 ........................................                0.87
                                                                                                                Days 5, 14, 30, 60, and 90 of a resident’s                  remaining within the facility to
                                                  54–56 ........................................                0.86
                                                                                                                Part A SNF stay, including certain grace                    continue the Part A stay, then the
                                                  57–59 ........................................                0.85
                                                                                                                days. Payments based on these                               facility may be required to complete an
                                                  60–62 ........................................                0.84                                                        EOT OMRA. Each of the unscheduled
                                                                                                                assessments depend upon standard
                                                  63–65 ........................................                0.83                                                        assessments affects payment in different
                                                  66–68 ........................................                Medicare payment windows associated
                                                                                                                0.82
                                                                                                                with each scheduled assessment. More                        and defined manners. A description of
                                                  69–71 ........................................                0.81
                                                  72–74 ........................................                specifically, each of the Medicare-
                                                                                                                0.80                                                        the SNF PPS scheduled and
                                                  75–77 ........................................                required scheduled assessments has
                                                                                                                0.79                                                        unscheduled assessments, including the
                                                  78–80 ........................................                defined days within which the
                                                                                                                0.78                                                        criteria for using each assessment, the
                                                  81–83 ........................................                0.77
                                                                                                                Assessment Reference Date (ARD) must                        assessment schedule, payment days
                                                  84–86 ........................................                0.76
                                                                                                                be set. The ARD is the last day of the                      covered by each assessment, and other
                                                  87–89 ........................................                0.75
                                                                                                                observation (or ‘‘look-back’’) period that                  related policies, are set forth in the MDS
                                                  90–92 ........................................                0.74
                                                                                                                the assessment covers for the resident.                     3.0 RAI manual on the CMS Web site
                                                  93–95 ........................................                0.73
                                                  96–98 ........................................                The facility is required to set the ARD
                                                                                                                0.72                                                        (available at https://downloads.cms.gov/
                                                  99–100 ......................................                 on the MDS form itself or in the facility
                                                                                                                0.71                                                        files/MDS-30-RAI-Manual-V114-
                                                                                                                software within the appropriate                             October-2016.pdf). Table 16 outlines
                                                                                                                timeframe of the assessment type being                      when each SNF PPS assessment is
                                                    TABLE 15—VARIABLE PER-DIEM AD- completed. The clinical data collected                                                   required to be completed and its effect
                                                    JUSTMENT FACTORS AND SCHED- from the look-back period is used to                                                        on SNF PPS payment.
                                                    ULE—NTA                                                     determine the payment associated with
                                                                                                                each assessment. For example, the ARD
                                                                                                   Adjustment for the 5-day PPS Assessment is any day
                                                     Medicare payment days                           factor     between Days 1 to 8 (including Grace
                                                                                                                Days). The clinical data collected during
                                                  1–3 ............................................          3.0
                                                  4–100 ........................................            1.0 the look-back period for that assessment
                                                                                                                is used to determine the SNF payment

                                                                                                             TABLE 16—CURRENT PPS ASSESSMENT SCHEDULE
                                                                                                                               Scheduled PPS assessments

                                                                                              Assessment                Assessment
                                                    Medicare MDS assess-                       reference               reference date                          Applicable standard Medicare payment days
                                                     ment schedule type                           date                   grace days

                                                  5-day ................................   Days     1–5 ..........                6–8     1 through 14.
                                                  14-day ..............................    Days     13–14 ......                15–18     15 through 30.
                                                  30-day ..............................    Days     27–29 ......                30–33     31 through 60.
                                                  60-day ..............................    Days     57–59 ......                60–63     61 through 90.
                                                  90-day ..............................    Days     87–89 ......                90–93     91 through 100.

                                                                                                                              Unscheduled PPS assessments

                                                  Start of Therapy OMRA ..                 5–7 days after the start of therapy            Date of the first day of therapy through the end of the standard payment pe-
                                                                                                                                            riod.
                                                  End of Therapy OMRA ....                 1–3 days after all therapy has                 First non-therapy day through the end of the standard payment period.
                                                                                           ended
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                                                  Change of Therapy                        Day 7 (last day) of the COT obser-             The first day of the COT observation period until End of standard payment
                                                    OMRA.                                  vation period                                    period, or until interrupted by the next COT–OMRA assessment or sched-
                                                                                                                                            uled or unscheduled PPS Assessment.
                                                  Significant Change in Sta-               No later than 14 days after signifi-           ARD of Assessment through the end of the standard payment period.
                                                    tus Assessment.                        cant change identified



                                                    An issue which has been raised in the                              assessment schedule is that the sheer                complex interplay of the assessment
                                                  past with regard to the existing SNF PPS                             number of assessments, as well as the                rules, significantly increases the


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                                                                            Federal Register / Vol. 82, No. 85 / Thursday, May 4, 2017 / Proposed Rules                                                     21003

                                                  administrative burden associated with                     SNFs to capture these types of                               necessary to treat an individual who
                                                  the SNF PPS. Case-mix classification                      significant changes, under the RCS–I                         initially presented with that condition
                                                  under the RCS–I model under                               model we are considering, we would                           at admission. Furthermore, we are
                                                  consideration relies to a much lesser                     permit providers to reclassify residents                     concerned that by providing for the
                                                  extent on characteristics that may                        from the initial 5-day classification                        variable per diem adjustment schedule
                                                  change very frequently over the course                    using the Significant Change in Status                       to be reset after an SCSA is completed,
                                                  of a resident’s stay (for example, therapy                Assessment (SCSA), which is a                                providers may be incentivized to
                                                  minutes may change due to resident                        Comprehensive assessment (that is, an                        conduct multiple SCSAs during the
                                                  refusal or unexpected changes in                          MDS assessment which includes both                           course of a resident’s stay to reset the
                                                  resident status), but instead relies on                   the completion of the MDS, as well as                        variable per diem adjustment schedule
                                                  more stable predictors of resource                        completion of the Care Area Assessment                       each time the adjustment is reduced.
                                                  utilization by tying case-mix                             (CAA) process and care planning), but                        Therefore, in cases where an SCSA is
                                                  classification, to a much greater extent,                 only in cases where the criteria for a
                                                                                                                                                                         completed, we are considering an
                                                  to resident characteristics such as                       significant change are met. A
                                                                                                                                                                         approach in which this assessment
                                                  diagnosis information. In view of the                     ‘‘significant change,’’ according to the
                                                                                                                                                                         could reclassify the resident for
                                                  greater reliance of the RCS–I case-mix                    MDS manual, is a major decline or
                                                  classification system under                               improvement in a resident’s status that:                     payment purposes as outlined in Table
                                                  consideration (as compared to the RUG–                    (1) Will not normally resolve itself                         17, but the resident’s variable per diem
                                                  IV model) on resident characteristics                     without intervention by staff or by                          adjustment schedule would continue
                                                  that are relatively stable over a stay and                implementing standard disease-related                        rather than being reset on the basis of
                                                  our general focus on reducing                             clinical interventions, and is not ‘‘self-                   completing the SCSA.
                                                  administrative burden for providers                       limiting’’ (for declines only); (2) Affects                     Finally, under the RCS–I model we
                                                  across the Medicare program, if we were                   more than one area of the resident’s                         are considering, SNFs would continue
                                                  to implement the RCS–I model, we are                      health status; and (3) Requires                              to be required to complete a PPS
                                                  considering the possibility of reducing                   interdisciplinary review and/or revision                     Discharge Assessment. In addition, we
                                                  the administrative burden on providers                    of the care plan. See the regulations at                     are considering the possibility of adding
                                                  by concurrently revising the                              42 CFR 483.20(b)(2)(ii), and the MDS 3.0                     certain items to this PPS Discharge
                                                  assessments that would be required                        RAI Manual, Chapter 2.6.                                     Assessment that would allow CMS to
                                                  under the RCS–I model. Specifically, we                      In addition to providing for the                          track therapy minutes over the course of
                                                  are considering the possibility of using                  completion of the SCSA, as described                         a resident’s Part A stay. We believe that
                                                  the 5-day SNF PPS scheduled                               above, we have also considered the                           the combination of the 5-day Scheduled
                                                  assessment to classify a resident under                   implications of a SNF completing an                          PPS Assessment, the Significant Change
                                                  the RCS–I model under consideration                       SCSA on the variable per diem                                in Status Assessment, and the PPS
                                                  for payment purposes for the entirety of                  adjustment schedule described in                             Discharge Assessment would provide
                                                  his or her Part A SNF stay, except as                     section III.B.4. of this ANPRM. More
                                                                                                                                                                         flexibility for providers to capture and
                                                  described below. If we were to finalize                   specifically, we have considered
                                                                                                                                                                         report accurately the resident’s
                                                  this policy, we would revise the                          whether an SNF completing an SCSA
                                                                                                                                                                         condition, as well as accurately reflect
                                                  regulations at § 413.343(b) so that such                  should cause a reset in the variable per
                                                                                                                                                                         resource utilization associated with that
                                                  regulations would no longer reflect the                   diem adjustment schedule for the
                                                                                                            associated resident. While we do believe                     resident, while minimizing the
                                                  RUG–IV assessment schedule.
                                                    We understand that Medicare                             that a significant change may be                             administrative burden on providers
                                                  beneficiaries are each unique and can                     sufficient to cause a change in the                          under the RCS–I model being
                                                  experience clinical changes which may                     resident’s RCS–I classification, we do                       considered.
                                                  require a SNF to reassess the resident to                 not believe that, in most instances, such                       Table 17 sets forth the PPS assessment
                                                  capture significant changes in the                        a change would require a SNF to expend                       schedule that we are considering,
                                                  resident’s condition. Therefore, to allow                 all of the resources that would be                           incorporating our ideas above.

                                                                                                          TABLE 17—PPS ASSESSMENT SCHEDULE
                                                       Medicare MDS assessment                    Assessment reference date                                    Applicable standard medicare payment days
                                                             schedule type

                                                  5-day Scheduled PPS Assessment             Days 1–8 .......................................    All covered Part A days until Part A discharge (unless a Significant
                                                                                                                                                    Change in Status assessment is completed).
                                                  Significant Change In Status As-           No later than 14 days after signifi-                ARD of the assessment through Part A discharge (unless another
                                                    sessment (SCSA).                           cant change is identified.                           Significant Change in Status assessment is completed).
                                                  PPS Discharge Assessment ...........       Equal to the End Date of the Most                   N/A.
                                                                                               Recent Medicare Stay (A2400C).



                                                    We would note that, as in previous                      which implementing these ideas would                         are case mix-adjusted primarily based
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                                                  years, we intend to continue to work                      reduce provider burden.                                      on the therapy minutes reported on the
                                                  with providers and software developers                                                                                 MDS. When the original SNF PPS model
                                                                                                            2. Potential Revisions to Therapy
                                                  in understanding changes we might                                                                                      was developed, most therapy services
                                                                                                            Provision Policies Under the SNF PPS
                                                  consider to the MDS. We invite                                                                                         were furnished on an individual basis,
                                                  comments on our ideas for revisions to                      Currently, almost 90 percent of                            and the minutes reported on the MDS
                                                  the SNF PPS assessment schedule and                       residents in a Medicare Part A SNF stay                      served as a proxy for the staff resource
                                                  related policies as discussed above. We                   receive therapy services. Under the                          time needed to provide the therapy care.
                                                  also solicit comment on the extent to                     current RUG–IV model, therapy services                       Over the years, we have monitored


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                                                  21004                     Federal Register / Vol. 82, No. 85 / Thursday, May 4, 2017 / Proposed Rules

                                                  provider behavior and have made policy                  use the minutes of therapy provided to                cap, we are considering making the
                                                  changes as it became apparent that,                     a resident to classify the resident for               concurrent therapy limit discipline-
                                                  absent safeguards like quality                          payment purposes, we are concerned                    specific. For example, if a resident
                                                  measurement to ensure that the amount                   that SNFs may once again become                       received 800 minutes of physical
                                                  of therapy provided did not exceed the                  incentivized to emphasize group and                   therapy, no more than 200 minutes of
                                                  resident’s actual needs, there were                     concurrent therapy, over the kind of                  this therapy could be provided on a
                                                  certain inherent incentives for providers               individualized therapy which is tailored              concurrent basis and no more than 200
                                                  to furnish as much therapy as possible.                 to address each beneficiary’s specific                minutes of this therapy could be
                                                  Thus, for example, in the SNF PPS FY                    care needs which we believe is                        provided on a group basis.
                                                  2010 final rule (74 FR 40315 through                    generally the most appropriate mode of                   With a 25 percent limit on group
                                                  40319), we decided to allocate                          therapy for SNF residents.                            therapy and a 25 percent limit on
                                                  concurrent therapy minutes for                             Since the inception of the SNF PPS,                concurrent therapy, providers would be
                                                  purposes of establishing the RUG–IV                     we have limited the amount of group                   permitted to provide a total of 50
                                                  group to which the patient belongs, and                 therapy provided to each SNF Part A                   percent of the total therapy furnished to
                                                  to limit concurrent therapy to two                      resident to 25 percent of the therapy                 each resident in a mode other than
                                                  patients at a time who were performing                  provided to them. As stated in the FY                 individual therapy. We believe that
                                                  different activities.                                   2000 final rule (64 FR 41662):                        individual therapy is usually the best
                                                     Following the decision to allocate                                                                         mode of therapy provision as it permits
                                                                                                            Although we recognize that receiving PT,
                                                  concurrent therapy, using STRIVE data                                                                         the greatest degree of interaction
                                                                                                          OT, or ST as part of a group has clinical merit
                                                  as a baseline, we found two significant                 in select situations, we do not believe that          between the resident and therapist, and
                                                  provider behavior changes with regard                   services received within a group setting              should therefore represent, at a
                                                  to therapy provision under the RUG–IV                   should account for more than 25 percent of            minimum, the majority of therapy
                                                  payment system. First, there was a                      the Medicare resident’s therapy regimen               provided to an SNF resident. However,
                                                  significant decrease in the amount of                   during the SNF stay. For this reason, no more         we recognize that, in very specific
                                                  concurrent therapy that was provided in                 than 25 percent of the minutes reported in            clinical situations, group or concurrent
                                                  SNFs. Simultaneously, we observed a                     the MDS may be provided within a group                therapy may be the more appropriate
                                                  significant increase in the provision of                setting. This limit is to be applied for each         mode of therapy provision, and
                                                  group therapy, which was not subject to                 therapy discipline; that is, only 25 percent of       therefore, we would want to allow
                                                                                                          the PT minutes reported in the MDS may be
                                                  allocation at that time. We concluded                                                                         providers the flexibility to be able to
                                                                                                          minutes received in a group setting and,
                                                  that the manner in which group therapy                  similarly, only 25 percent of the OT, or the          utilize these modes. We continue to
                                                  minutes were counted in determining a                   ST minutes reported may be minutes                    stress that group and concurrent therapy
                                                  patient’s RUG–IV group created a                        received in a group setting.                          should not be utilized to satisfy
                                                  payment incentive to provide group                                                                            therapist or resident schedules, and that
                                                  therapy rather than individual therapy                     Although we recognize that group and               all group and concurrent therapy should
                                                  or concurrent therapy, even in cases                    concurrent therapy may have clinical                  be well documented in a specific way to
                                                  where individual therapy (or concurrent                 merit in specific situations, we also                 demonstrate why they are the most
                                                  therapy) was more appropriate for the                   continue to believe that individual                   appropriate mode for the resident and
                                                  resident. Thus, we made two policy                      therapy is generally the best way of                  reasonable and necessary for his or her
                                                  changes regarding group therapy in the                  providing therapy to a resident because               individual condition. We have also
                                                  FY 2012 SNF PPS final rule (76 FR                       it is most tailored to that specific                  considered a combined limit on both
                                                  48511 through 48517). We defined                        resident’s care needs. As such, we                    concurrent and group therapy of 25
                                                  group therapy as exactly four residents                 believe that individual therapy should                percent, but believe that this may not
                                                  who are performing the same or similar                  represent at least the majority of the                afford sufficient flexibility to SNFs to
                                                  therapy activities simultaneously.                      therapy services received by SNF                      provide services as appropriate given
                                                  Additionally, we allocated group                        residents. To ensure that SNF residents               the needs of the resident. We invite
                                                  therapy among the four patients                         would receive the majority of therapy                 comments on the ideas discussed here
                                                  participating in group therapy—                         services on an individual basis, if we                and other ways in which these limits
                                                  meaning that the total amount of time                   were to implement the RCS–I model, we                 may be applied.
                                                  that a therapist spent with a group                     believe concurrent therapy should be
                                                                                                          limited to no more than 25 percent of                 3. Interrupted Stay Policy
                                                  would be divided by 4 (the number of
                                                  patients that comprise a group) to                      a SNF resident’s therapy minutes,                        Under section 1812(a)(2)(A) of the
                                                  establish the RUG–IV group to which                     consistent with the existing 25 percent               Act, Medicare Part A covers a maximum
                                                  the patient belongs.                                    limit on group therapy. In combination,               of 100 days of SNF services per spell of
                                                     Since we began allocating group                      these two limits would ensure that at                 illness, or ‘‘benefit period’’. A benefit
                                                  therapy and concurrent therapy, these                   least 50 percent of a resident’s therapy              period starts on the day the beneficiary
                                                  modes of therapy (group and                             minutes are provided on an individual                 begins receiving inpatient hospital or
                                                  concurrent) represent less than one                     basis. For this reason, and because of                SNF benefits under Medicare Part A.
                                                  percent of total therapy provided to SNF                the change in how therapy services                    (See section 1861(a) of the Act;
                                                  residents. Based on prior experience                    would be used to classify residents                   § 409.60). SNF coverage also requires a
                                                  with the provision of concurrent and                    under the RCS–I, and the concern that                 prior qualifying, inpatient hospital stay
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                                                  group therapy in SNFs, we again are                     providers may begin to utilize more                   of at least 3 consecutive days’ duration
                                                  concerned that if we were to implement                  group and concurrent therapy due to                   (counting the day of inpatient admission
                                                  the RCS–I model we are considering,                     financial considerations, we are                      but not the day of discharge). (See
                                                  providers may base decisions regarding                  considering setting a 25 percent limit on             section 1861(i) of the Act;
                                                  the particular mode of therapy to use for               concurrent therapy, in addition to the                § 409.30(a)(1)). Once the 100 available
                                                  a given resident on financial                           25 percent limit on group therapy that                days of SNF benefits are used, the
                                                  considerations rather than on the                       was established at the inception of the               current benefit period must end before
                                                  clinical needs of SNF residents. Because                SNF PPS. Further, as with current                     a beneficiary can renew SNF benefits
                                                  the RCS–I case-mix model would not                      policy as it relates to the group therapy             under a new benefit period. For the


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                                                                            Federal Register / Vol. 82, No. 85 / Thursday, May 4, 2017 / Proposed Rules                                           21005

                                                  current benefit period to end so a new                  condition or treatment, the payment rate              adjustment schedule. In cases where the
                                                  benefit period can begin, a period of 60                is the same on Day 1 of a covered SNF                 resident is readmitted to the same SNF
                                                  consecutive days must elapse                            stay as it is at Day 7. Accordingly, a                more than 3 calendar days after having
                                                  throughout which the beneficiary is                     beneficiary’s readmission to the SNF—                 been discharged, or in any case where
                                                  neither an inpatient of a hospital nor                  even if only a few days may have                      the resident is readmitted to a different
                                                  receiving skilled care in a SNF. (See                   elapsed since a previous discharge—                   SNF, we are considering the possibility
                                                  section 1861(a) of the Act; § 409.60).                  could essentially be treated as a new                 of treating the readmission as a new
                                                  Once a benefit period ends, the                         and different stay without affecting the              stay, in which the resident would
                                                  beneficiary must have another                           payment rates.                                        receive a new 5-day assessment upon
                                                  qualifying 3-day inpatient hospital stay                   However, as discussed in section                   admission and the variable per diem
                                                  and meet the other applicable                           III.B.4 of this ANPRM, under the RCS–                 adjustment schedule for that resident
                                                  requirements before Medicare Part A                     I case-mix model, we are considering                  would reset to Day 1. For the purposes
                                                  coverage of SNF care can resume. (See                   adjusting the PT/OT and NTA                           of the interrupted stay policy, the source
                                                  section 1861(i); § 409.30)                              components of the per diem rate across                of the readmission would not be
                                                     While the majority of SNF benefit                    the length of a stay (the variable per                relevant. That is, the beneficiary may be
                                                  periods, approximately 77 percent,                      diem adjustment) to better reflect how                readmitted from the community, from
                                                  involve a single SNF stay, it is possible               and when costs are incurred and                       an intervening hospital stay, or from a
                                                  for a beneficiary to be readmitted                      resources used over the course of the                 different kind of facility and the
                                                  multiple times to a SNF within a single                 stay, such that earlier days in a given               interrupted stay policy would operate in
                                                  benefit period, and such cases represent                stay receive higher payments, with                    the same manner. The only relevant
                                                  the remaining 23 percent of SNF benefit                 payments trending lower as the stay                   factors in determining if the interrupted
                                                  periods. For instance, a resident can be                continues. In other words, the adjusted               stay policy would apply are the number
                                                  readmitted to a SNF within 30 days after                payment rate on Day 1 and Day 7 of a                  of days between the resident’s discharge
                                                  a SNF discharge without requiring a                     SNF stay would not be the same.                       from a SNF and subsequent readmission
                                                  new qualifying 3-day inpatient hospital                 Although we believe this variable per                 to a SNF, and whether the resident is re-
                                                  stay or beginning a new benefit period.                 diem adjustment schedule more                         admitted to the same or a different SNF.
                                                  SNF admissions that occur between 31                    accurately reflects the increased                        Consider the following examples,
                                                  and 60 days after a SNF discharge                       resource utilization in the early portion             which we believe aid in clarifying how
                                                  require a new qualifying 3-day inpatient                of a stay for single-stay benefit periods             this policy would be implemented:
                                                  hospital stay, but fall within the same                 (which represent the majority of cases),                 Example A: A beneficiary is
                                                  benefit period. (See sections 1861(a) and               we have considered whether and how                    discharged from a SNF stay on Day 3 of
                                                  (i) of the Act; §§ 409.30, 409.60)                      such an adjustment should be applied to               admission. Four days after the date of
                                                     Other Medicare post-acute care (PAC)                 payment rates for cases involving                     discharge, the beneficiary is then
                                                  benefits have ‘‘interrupted stay’’ policies             multiple stays per benefit period. In                 readmitted (as explained above, this
                                                  that provide for a payment adjustment                   other words, if a resident has a Part A               readmission would be in the same
                                                  when the beneficiary temporarily goes                   stay in a SNF, leaves the facility for                benefit period). The SNF would conduct
                                                  to another setting, such as an acute care               some reason, and then is readmitted to                a new 5-day assessment at the start of
                                                  hospital, and then returns within a                     the same SNF or a different SNF, we                   the second admission and reclassify the
                                                  specific timeframe. In the inpatient                    have considered how this readmission                  beneficiary accordingly. In addition, for
                                                  rehabilitation facility (IRF) and                       should be viewed in terms of both                     purposes of the variable per diem
                                                  inpatient psychiatric facility (IPF)                    resident classification and the variable              adjustment schedule, the payment
                                                  settings, for instance, an interrupted                  per diem adjustment schedule under the                schedule for the second admission
                                                  stay occurs when a patient returns to the               RCS–I model under consideration.                      would reset to Day 1 payment rates for
                                                  same facility within 3 days of discharge.               Application of the variable per diem                  the beneficiary’s new case-mix
                                                  The interrupted stay policy for long-                   adjustment is of particular concern                   classification.
                                                  term care hospitals (LTCHs) is more                     because providers may consider                           Example B: A beneficiary is
                                                  complex, consisting of several policies                 discharging a resident and then                       discharged from a SNF stay on Day 7
                                                  depending on the length of the                          readmitting the resident shortly                      and is readmitted to the same SNF
                                                  interruption and, at times, the discharge               thereafter to reset the resident’s variable           before midnight of the date 3 calendar
                                                  destination: An interruption of 3 or                    per diem adjustment schedule and                      days from the day of discharge. For the
                                                  fewer days is always treated as an                      maximize the payment rates for that                   purposes of classification and payment,
                                                  interrupted stay, which is similar to the               resident.                                             this would be considered a continuation
                                                  IRF PPS and IPF PPS policies; if there                     Given the potential harm which may                 of the previous stay (an interrupted
                                                  is an interruption of more than 3 days,                 be caused to the resident if discharged               stay). The SNF would not conduct a
                                                  the length of the gap required to trigger               inappropriately, and other concerns                   new assessment to reclassify the patient
                                                  a new stay varies depending on the                      outlined above, we are considering the                and for purposes of the variable per
                                                  discharge setting. In these three settings,             possibility of adopting an interrupted                diem adjustment schedule, the payment
                                                  when a beneficiary is discharged and                    stay policy under the SNF PPS, in                     schedule would continue where it left
                                                  returns to the facility within the                      conjunction with the implementation of                off; in this case, the first day of the
                                                  interrupted stay window, Medicare                       the RCS–I case-mix model. Specifically,               second stay would be paid at the Day 8
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                                                  treats the two segments as a single stay.               as further explained below, in cases                  per diem rates under that schedule.
                                                     While other PAC benefits have                        where a resident is discharged from a                    We have also considered alternatives
                                                  interrupted stay policies, the SNF                      SNF and returns to the same SNF within                ways of structuring the interrupted stay
                                                  benefit under the RUG–IV case-mix                       3 calendar days after having been                     policy. For example, we have
                                                  model has had no need for such a policy                 discharged, we are considering the                    considered possible ranges for the
                                                  because given a resident’s case-mix                     possibility of treating the resident’s stay           interrupted stay window other than the
                                                  group, payment does not change over                     as a continuation of the previous stay                three calendar day window discussed in
                                                  the course of a stay. In other words,                   for purposes of both resident                         this ANPRM. For example, we
                                                  assuming no change in a patient’s                       classification and the variable per diem              considered windows of fewer than 3


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                                                  21006                     Federal Register / Vol. 82, No. 85 / Thursday, May 4, 2017 / Proposed Rules

                                                  days (for example, 1 or 2 day windows                   start of the second, or other subsequent,             policy; for example, we would be
                                                  for readmission) as well as windows of                  SNF stay.                                             concerned about patients in SNF A
                                                  more than 3 days (for example, 4 or 5                      With regard to the first question                  consistently being admitted to SNF B to
                                                  day windows for readmission).                           above, specifically whether or not a re-              the exclusion of other SNFs in the area.
                                                  However, we believe that 3 days                         admission to a SNF no more than three                 However, because of the concern that a
                                                  represents a reasonable window after                    calendar days after discharge from that               SNF provider could discharge and
                                                  which it is more likely that a resident’s               SNF would reset the resident’s variable               promptly readmit a resident to reset the
                                                  condition and resource needs will have                  per diem adjustment schedule, in each                 variable per diem adjustment schedule
                                                  changed. We also believe that                           of the cases described above, we were                 to Day 1, in cases where a resident
                                                  consistency with other payment                          concerned generally that an interrupted               returns to the same provider we are
                                                  systems, like that of IRF and IPF, is                   stay policy that ‘‘restarts’’ the variable            considering allowing the payment
                                                  helpful in providing clarity and                        per diem adjustment schedule to Day 1                 schedule to reset only when the resident
                                                  consistency to providers in                             after readmissions could incentivize                  has been out of the facility for at least
                                                  understanding Medicare payment                          unnecessary discharges with quick                     3 days. More information on these
                                                  systems, as well as making progress                     readmissions. This concern is                         analyses can be found in section 3.10.3
                                                  toward standardization among PAC                        particularly notable in the second and                of the SNF PMR technical report
                                                  payment systems. We invite comments                     third cases described above, as the                   available at https://www.cms.gov/
                                                  on the appropriate length of the window                 beneficiary may return to the same                    Medicare/Medicare-Fee-for-Service-
                                                  for an interrupted stay policy.                         facility. Regression analyses showed                  Payment/SNFPPS/
                                                     In addition, to determine how best to                that the second stay following a direct               therapyresearch.html.
                                                  operationalize an interrupted stay                      SNF-to-SNF transfer had similar costs to
                                                                                                                                                                   With regard to the question of
                                                  policy within the SNF setting, we have                  the first stay in a benefit period. As a
                                                                                                                                                                whether or not SNFs would be required
                                                  considered three broad categories of                    result, the first case described above was
                                                                                                                                                                to complete a new 5-day assessment and
                                                  benefit periods consisting of multiple                  excluded from the interrupted stay
                                                                                                                                                                reclassify the resident after returning to
                                                  stays. The first type of scenario, SNF-to-              policy, which is restricted to
                                                                                                                                                                the SNF no more than 3 calendar days
                                                  SNF transfers, is one in which a resident               readmissions to the same SNF. These
                                                                                                                                                                after discharge from the SNF, we
                                                  is transferred directly from one SNF to                 types of transfers were also excluded
                                                                                                                                                                investigated changes in resident
                                                  a different SNF. The second case we                     from the interrupted stay policy because
                                                                                                                                                                characteristics from the first to the
                                                                                                          including such stays could potentially
                                                  have considered, and the most common                                                                          second stay within a benefit period.
                                                                                                          incentivize frequent discharge and
                                                  of all three multiple-stay benefit period                                                                     First, we looked at changes in clinical
                                                                                                          readmission issues among facilities that
                                                  scenarios, is a benefit period that                                                                           categories from the first to second stay
                                                                                                          share common ownership. In the second
                                                  includes a readmission following a new                                                                        for residents with an intervening re-
                                                                                                          and third cases, the second stay tended
                                                  hospitalization between the two stays—                                                                        hospitalization. This analysis could
                                                                                                          to have lower costs than the first stay,
                                                  for instance, a resident who was                                                                              only be conducted for residents with a
                                                                                                          suggesting that it is reasonable not to
                                                  discharged from a SNF back to the                                                                             re-hospitalization because, as described
                                                                                                          reset the resident’s variable per diem
                                                  community, re-hospitalized at a later                                                                         in section 3.10.2 of the SNF PMR
                                                                                                          adjustment schedule to address the
                                                  date, and readmitted to a SNF (the same                                                                       technical report, for research purposes
                                                                                                          incentive concerns described above.
                                                  SNF or a different SNF) following the                      With regard to the first question                  classification into clinical categories
                                                  new hospital stay. The last case we have                above, we examined changes in costs                   was based on the diagnosis from the
                                                  considered was a readmission to the                     from the first to second admission for                prior inpatient stay. Both SNF-to-SNF
                                                  same SNF or a different SNF following                   the three scenarios described above                   direct transfers and residents readmitted
                                                  a discharge to the community, with no                   (SNF-to-SNF direct transfers,                         after a community discharge lacked a
                                                  intervening re-hospitalization. Since                   readmissions following re-                            new hospitalization that would allow
                                                  benefit periods with exactly two stays                  hospitalization, and readmissions                     them to change clinical categories. (As
                                                  account for a large majority of all benefit             following community discharge).                       described in section III.B.3.b of the
                                                  periods with multiple stays, we                         Regression analyses showed that costs                 ANPRM, classification into clinical
                                                  primarily examined benefit periods with                 from the first to second admission were               categories would be operationalized
                                                  two stays. Of these cases, over three                   similar for SNF-to-SNF transfers and                  under the RCS–I model under
                                                  quarters (76.4 percent) consist of re-                  slightly lower for readmissions                       consideration using the primary
                                                  hospitalization and readmission (to the                 following re-hospitalizations. For                    diagnosis from item I8000 on the MDS
                                                  same SNF or a different SNF).                           readmissions following community                      3.0. This information is not currently
                                                  Community discharge and readmission                     discharges, costs were notably lower                  available; therefore, we used the prior
                                                  without re-hospitalization cases                        when residents returned to the same                   inpatient diagnosis for research
                                                  represent approximately 14 percent of                   provider but similar when residents                   purposes.) For those residents who had
                                                  cases, while direct SNF-to-SNF transfers                were admitted to a different facility.                a re-hospitalization and therefore could
                                                  represent approximately 10 percent.                     Because these results showed that an                  be reclassified into a new clinical
                                                     For each of these case types, in which               admission to a different SNF, regardless              category, we found that the vast
                                                  a resident was readmitted to a SNF no                   of the length of the gap between                      majority fell into either the same
                                                  more than 3 days after discharge, we                    discharge and readmission, resulted in                category as in their first stay or the
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                                                  examined whether (1) the variable per                   similar costs to the first admission, we              lowest-payment clinical category
                                                  diem adjustment schedule should be                      are considering the possibility of always             (medical management). For residents
                                                  ‘‘reset’’ back to the Day 1 rates at the                resetting the variable per diem                       without a re-hospitalization between
                                                  outset of the second stay versus                        adjustment schedule to Day 1 whenever                 discharge and readmission, we
                                                  ‘‘continuing’’ the variable per diem                    residents are discharged and readmitted               examined changes in functional status
                                                  adjustment schedule at the point at                     to a different SNF. We acknowledge that               from the first to second stay.
                                                  which the previous stay ended, and (2)                  this could lead to patterns of                        Specifically, we looked at whether the
                                                  a new 5-day assessment and resident                     inappropriate readmission that could be               RCS–I PT/OT group into which they
                                                  classification should be required at the                inconsistent with the intent of this                  were classified based on the 5-day


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                                                                            Federal Register / Vol. 82, No. 85 / Thursday, May 4, 2017 / Proposed Rules                                            21007

                                                  assessment of the second stay was                       would not automatically be classified as              presumption on that assessment, either
                                                  associated with higher or lower                         either meeting or not meeting the                     by receiving the most intensive
                                                  functional status relative to the PT/OT                 definition, but instead would receive an              functional score (14 to 18) under the PT/
                                                  group they were placed in based on the                  individual level of care determination                OT component, or by receiving the
                                                  5-day assessment of the first stay. We                  using the existing administrative                     uppermost comorbidity score (11+)
                                                  found that a large majority of these                    criteria. This presumption would                      under the NTA component. We believe
                                                  residents were classified into PT/OT                    recognize the strong likelihood that                  that these particular clinical indicators
                                                  groups associated with the same                         beneficiaries assigned to one of the                  would appropriately serve to fulfill the
                                                  functional status across the first and                  designated upper groups during the                    administrative presumption’s role of
                                                  second stays. More information on these                 immediate post-hospital period require                identifying those cases with the highest
                                                  analyses can be found in section 3.10.2                 a covered level of care, which would be               probability of requiring an SNF level of
                                                  of the SNF PMR technical report                         less likely for those beneficiaries                   care throughout the initial portion of the
                                                  available at https://www.cms.gov/                       assigned to one of the lower groups.                  SNF stay. We note that to help improve
                                                  Medicare/Medicare-Fee-for-Service-                         We note that the most direct                       the accuracy of these newly-designated
                                                  Payment/SNFPPS/                                         crosswalk between the existing RUG–IV                 groups in serving this function, we
                                                  therapyresearch.html. Additionally, we                  model and the RCS–I model under                       would continue to review the new
                                                  note that under the approach discussed                  consideration would involve nursing                   designations going forward and could
                                                  in section III.C.1 of this ANPRM,                       services, for which each resident would               make further adjustments to the
                                                  providers would be afforded the                         be classified into one of the 43 existing             designations over time as we gain actual
                                                  flexibility to use the SCSA, which                      non-rehabilitation RUG–IV groups.                     operating experience under the new
                                                  would allow for reclassification in cases               Under the approach being considered,                  classification model.
                                                  where a SCSA is warranted. Thus, we                     effective in conjunction with the                        We note that affording a streamlined
                                                  believe it would be appropriate to                      implementation of the RCS–I model, the                and simplified administrative procedure
                                                  maintain the classification from the first              administrative presumption would                      for readily identifying such cases has
                                                  stay for those residents returning to the               continue to apply to those of the 43                  been the basic purpose of the SNF PPS’s
                                                  SNF no more than 3 calendar days after                  groups that currently comprise the                    level of care presumption ever since its
                                                  discharge from the same facility.                       designated nursing categories under the               inception. In this context, we wish to
                                                     We invite comments on our ideas                      existing RUG–IV model:                                reiterate that an individual beneficiary’s
                                                  above.                                                     • Extensive Services;                              inability to qualify for the
                                                                                                             • Special Care High;                               administrative presumption would not
                                                  D. Relationship of RCS–I to Existing                       • Special Care Low; and,                           in itself serve to disqualify that resident
                                                  Skilled Nursing Facility Level of Care                     • Clinically Complex.                              from receiving SNF coverage. Instead, as
                                                  Criteria                                                   In addition, along with the continued              we have noted repeatedly in previous
                                                    Since the case-mix adjustment aspect                  use of the remaining, nursing portion of              rulemaking, while such residents are
                                                  of the SNF PPS has been based, in part,                 the RUG–IV model, we also are                         not automatically presumed to require a
                                                  on the beneficiary’s need for skilled                   considering the possibility of applying               skilled level of care, neither are they
                                                  nursing care and therapy, we have                       the administrative presumption using                  automatically classified as requiring
                                                  coordinated claims review procedures                    those other classifiers under the RCS–I               nonskilled care. Rather, any resident
                                                  with the existing resident assessment                   model under consideration that we                     who does not qualify for the
                                                  process and case-mix classification                     believe would relate the most directly to             presumption would instead receive an
                                                  system. This approach includes an                       a given patient’s acuity. As explained                individual level of care determination
                                                  administrative presumption that utilizes                below, we would designate such                        using the existing administrative
                                                  a beneficiary’s initial classification in               classifiers for this purpose based on                 criteria. As we explained in the FY 2016
                                                  one of the upper 52 RUGs of the existing                their ability to fulfill the administrative           SNF PPS final rule, this approach serves
                                                  66-group RUG–IV system to assist in                     presumption’s role as described in the                ‘‘. . . specifically to ensure that the
                                                  making certain SNF level of care                        FY 2000 SNF PPS final rule—that is, to                presumption does not disadvantage
                                                  determinations.                                         identify those ‘‘. . . situations that                such residents, by providing them with
                                                    We are considering the possibility of                 involve a high probability of the need                an individualized level of care
                                                  adopting a similar approach under the                   for skilled care . . . when taken in                  determination that fully considers all
                                                  RCS–I case-mix classification model, by                 combination with the characteristic                   pertinent factors’’ (80 FR 46406, August
                                                  retaining an administrative presumption                 tendency . . . for an SNF resident’s                  4, 2015).
                                                  mechanism that would utilize a                          condition to be at its most unstable and                 We invite comments on the ideas and
                                                  beneficiary’s initial classification into               intensive state at the outset of the SNF              the approach we are considering, as
                                                  one of the designated upper groups to                   stay’’ (64 FR 41668 through 41669, July               discussed above.
                                                  assist in making certain SNF level of                   30, 1999).
                                                  care determinations. This designation                      Specifically, we are considering the               E. Effect of RCS–I on Temporary AIDS
                                                  would reflect an administrative                         possibility of utilizing the PT/OT                    Add-on Payment
                                                  presumption under the RCS–I model                       component’s functional score, as well as                Section 511(a) of the MMA amended
                                                  that beneficiaries who are correctly                    the NTA component’s comorbidity score                 section 1888(e)(12) of the Act to provide
                                                  assigned to one of the designated groups                for this purpose, which would be                      for a temporary increase of 128 percent
pmangrum on DSK3GDR082PROD with PROPOSALS1




                                                  on the initial 5-day, Medicare-required                 effective in conjunction with the                     in the PPS per diem payment for any
                                                  assessment are automatically classified                 implementation of the RCS–I model.                    SNF residents with Acquired Immune
                                                  as meeting the SNF level of care                        Under this approach, those residents not              Deficiency Syndrome (AIDS), effective
                                                  definition up to and including the                      classifying into one of the designated                with services furnished on or after
                                                  assessment reference date on the 5-day                  nursing RUG categories under the RCS–                 October 1, 2004. This special add-on for
                                                  Medicare required assessment.                           I model under consideration on the                    SNF residents with AIDS was intended
                                                    As under the existing administrative                  initial, 5-day Medicare-required                      to be of limited duration, as the MMA
                                                  presumption, a beneficiary who is not                   assessment could nonetheless still                    legislation specified that it was to
                                                  assigned to one of the designated groups                qualify for the administrative                        remain in effect only until the Secretary


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                                                  21008                     Federal Register / Vol. 82, No. 85 / Thursday, May 4, 2017 / Proposed Rules

                                                  certifies that there is an appropriate                  differences in SNF resource utilization,              use. Regression analyses found that
                                                  adjustment in the case mix to                           which indicates that while the overall                wage-weighted nursing staff time is 19
                                                  compensate for the increased costs                      historical disparity in costs between                 percent higher for residents with HIV/
                                                  associated with such residents.                         AIDS and non-AIDS patients has not                    AIDS, controlling for the non-
                                                     The temporary add-on for SNF                         entirely disappeared, that disparity is               rehabilitation RUG of the resident. More
                                                  residents with AIDS is also discussed in                now far greater with regard to drugs                  information on this analysis can be
                                                  Program Transmittal #160 (Change                        than it is for nursing. Specifically, NTA             found in section 3.8.2 of the SNF PMR
                                                  Request #3291), issued on April 30,                     costs per day for residents with AIDS                 technical report available at https://
                                                  2004, which is available online at                      were 151 percent higher than those for                www.cms.gov/Medicare/Medicare-Fee-
                                                  www.cms.gov/transmittals/downloads/                     other residents, while the difference in              for-Service-Payment/SNFPPS/
                                                  r160cp.pdf. In the SNF PPS final rule for               wage-weighted nursing staff time                      therapyresearch.html. Thus, we are
                                                  FY 2010 (74 FR 40288, August 11,                        between the two groups was only 19                    considering a 19 percent increase in
                                                  2009), we did not address this                          percent. More information on this                     payment for the nursing component for
                                                  certification in that final rule’s                      analysis can be found in section 3.8.3 of             residents with HIV/AIDS under the
                                                  implementation of the case-mix                          the SNF PMR technical report available                RCS–I model under consideration to
                                                  refinements for RUG–IV, thus allowing                   at https://www.cms.gov/Medicare/                      account for the increased nursing costs
                                                  the add-on payment required by section                  Medicare-Fee-for-Service-Payment/                     for such residents. Similar to the NTA
                                                  511 of the MMA to remain in effect for                  SNFPPS/therapyresearch.html.                          adjustment for residents with HIV/AIDS
                                                  the time being.                                            As discussed previously in section                 discussed in section III.B.3.e. of this
                                                     In the House Ways and Means                                                                                ANPRM, this adjustment would be
                                                                                                          III.B.3.e. of this ANPRM, the RCS–I
                                                  Committee Report that accompanied the                                                                         identified by ICD–10–CM code B20 on
                                                                                                          model would include an NTA
                                                  MMA, the explanation of the MMA’s                                                                             the SNF claim and would be processed
                                                  temporary AIDS adjustment notes the                     adjustment that we believe
                                                                                                          appropriately takes into account and                  through the PRICER software used by
                                                  following under Reason for Change:                                                                            CMS to set the appropriate payment rate
                                                  ‘‘According to prior work by the Urban                  compensates for those NTA costs,
                                                                                                          including drugs, which specifically                   for a resident’s SNF stay. The 19 percent
                                                  Institute, AIDS patients have much                                                                            adjustment would be applied to the
                                                  higher costs than other patients in the                 relate to residents with AIDS.
                                                                                                                                                                unadjusted base rate for the nursing
                                                  same resource utilization groups in                     Regression analysis indicated that the
                                                                                                                                                                component, and then this amount
                                                  skilled nursing facilities. The                         case-mix adjustment for AIDS in the
                                                                                                                                                                would be further case-mix adjusted per
                                                  adjustment is based on that data                        NTA component successfully accounts
                                                                                                                                                                the resident’s RCS–I classification.
                                                  analysis’’ (H. Rep. No. 108–178, Part 2                 for the increased NTA resource                          We believe that when taken
                                                  at 221). The data analysis from that                    utilization for residents with AIDS.                  collectively, these adjustments under
                                                  February 2001 Urban Institute study                     Additionally, this analysis indicated                 the RCS–I case mix model that we
                                                  (entitled ‘‘Medicare Payments for                       that the case-mix adjustment of the NTA               discuss here would appropriately serve
                                                  Patients with HIV/AIDS in Skilled                       component accounts for most of the                    to justify issuing the certification
                                                  Nursing Facilities’’), in turn, had been                current disparity in payments between                 prescribed under section 511(a) of the
                                                  conducted under a Report to Congress                    these and other residents, as suggested               MMA effective with the conversion to
                                                  mandated under a predecessor                            by a comparison of payments in RUG–                   the RCS–I model, which would permit
                                                  provision, section 105 of the BBRA.                     IV and payments in RCS–I for residents                the MMA’s existing, temporary AIDS
                                                  This earlier BBRA provision, which                      with and without AIDS. More                           add-on to be replaced by a permanent
                                                  ultimately was superseded by the                        information on these analyses can be                  adjustment in the case mix (under the
                                                  MMA’s temporary AIDS add-on                             found in section 3.8.2 of the SNF PMR                 RCS–I case mix model) that
                                                  provision, had amended section                          technical report available at https://                appropriately compensates for the
                                                  1888(e)(12) of the Act to provide for                   www.cms.gov/Medicare/Medicare-Fee-                    increased costs associated with these
                                                  ‘‘Special consideration for facilities                  for-Service-Payment/SNFPPS/                           residents. We invite comments on the
                                                  serving specialized patient populations’’               therapyresearch.html. Therefore, if we                ideas and the approach we are
                                                  (that is, those who are ‘‘immuno-                       were to implement the RCS–I model we                  considering, as discussed above.
                                                  compromised secondary to an infectious                  are considering, we believe it would be
                                                  disease, with specific diagnoses as                     appropriate to issue the prescribed                   F. Potential Impacts of Implementing
                                                  specified by the Secretary).                            certification under section 511(a) of the             RCS–I
                                                     We note that at this point, over 15                  MMA on the basis of the RCS–I model’s                    To assess the potential effect of
                                                  years have elapsed since the Urban                      NTA adjustment alone, as effectively                  implementing the RCS–I case mix
                                                  Institute conducted its study on AIDS                   representing the required appropriate                 model, this section outlines the
                                                  patients in SNFs, a period that has seen                adjustment in the case mix to                         projected impacts of implementing this
                                                  major advances in the state of medical                  compensate for the increased costs                    new case-mix classification model
                                                  practice in treating this condition. These              associated with such residents.                       under the SNF PPS. The impacts
                                                  advances have notably included the                      However, to further ensure that the                   presented here assume implementation
                                                  introduction of powerful new drugs and                  RCS–I model under consideration                       of the RCS–I case-mix model and
                                                  innovative prescription regimens that                   would account as fully as possible for                associated policy ideas discussed
                                                  have dramatically improved the ability                  any remaining disparity with regard to                throughout section III. of this ANPRM.
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                                                  to manage the viral load (the amount of                 nursing costs, as discussed in section                   The impact analysis presented here
                                                  human immunodeficiency virus (HIV)                      III.B.3.d., we are additionally                       makes a series of other assumptions as
                                                  in the blood). The decrease in viral load               considering the possibility of including              well, on all of which we solicit
                                                  secondary to medications has                            a specific AIDS adjustment as part of the             comment regarding their
                                                  contributed to a shift from intensive                   case-mix adjustment of the nursing                    appropriateness. First, the impacts
                                                  nursing services for AIDS-related                       component. As discussed in section                    presented here assume consistent
                                                  illnesses to an increase in antiretroviral              III.B.3.d. of this ANPRM, we used the                 provider behavior in terms of how care
                                                  therapy. This phenomenon, in turn, is                   STRIVE data to quantify the effects of                is provided under RUG–IV and how
                                                  reflected in a recent analysis of                       HIV/AIDS diagnosis on nursing resource                care might be provided under RCS–I, as


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                                                                                      Federal Register / Vol. 82, No. 85 / Thursday, May 4, 2017 / Proposed Rules                                                                                  21009

                                                  we do not make any attempt to                                               However, as we would not be required                                         calculation and analysis are described
                                                  anticipate or predict provider reactions                                    to implement RCS–I in a budget neutral                                       in section 3.12 of the SNF PMR
                                                  to the implementation of RCS–I. That                                        manner, we solicit comment on whether                                        Technical Report. The impact analysis
                                                  being said, we acknowledge the                                              we should consider implementing RCS–                                         presented in this section focuses on how
                                                  possibility that implementing the RCS–                                      I in a manner that is not budget neutral.                                    payments under the RCS–I model under
                                                  I model could substantially affect                                             For illustrative purposes, the impact                                     consideration would be re-allocated
                                                  resident care. Most notably, based on                                       analysis presented here assumes                                              across different resident groups and
                                                  the concerns raised during a number of                                      implementation of these changes in a                                         among different facility types, assuming
                                                  TEPs, we acknowledge the possibility                                        budget neutral manner without a                                              implementation in a budget neutral
                                                  that, as therapy payments under RCS–I                                       behavioral change. The prior sections                                        manner. We invite comments on this
                                                  would not have the same connection to                                       describe how case-mix weights are set to                                     discussion and approach.
                                                  service provision as they do under                                          reflect relative resource use for each
                                                  RUG–IV, it is possible that some                                            case-mix group. RCS–I payment before                                            The projected resident-level impacts
                                                  providers may choose to reduce their                                        application of a parity adjustment is                                        are presented in Table 18. The first
                                                  provision of therapy services to increase                                   calculated using the unadjusted CMI for                                      column identifies different resident
                                                  margins under RCS–I. Additionally, we                                       each component, the variable per diem                                        subpopulations and the second column
                                                  acknowledge that a number of states                                         payment adjustment schedule, the                                             shows what percent of SNF stays are
                                                  utilize some form of the RUG–IV case-                                       different base rates for urban and rural                                     represented by the given subpopulation.
                                                  mix classification system as part of their                                  facilities, the labor-related share, and                                     The third column shows the average
                                                  Medicaid programs and that any change                                       the geographic wage indexes. In                                              change in payment for residents in a
                                                  in Medicare policy can have an impact                                       applying a parity adjustment to the case-                                    given subpopulation, represented as a
                                                  on state programs. We solicit comments                                      mix weights, we maintained the relative                                      percentage change from payments made
                                                  on this assumption that behavior would                                      value of each CMI, but multiplied every                                      for that subpopulation under RUG–IV
                                                  remain unchanged under RCS–I. To the                                        CMI by a ratio to achieve parity in                                          versus those which would be made
                                                  extent that commenters may believe that                                     overall SNF PPS payments under the                                           under the RCS–I model under
                                                  behavior could change under RCS–I, we                                       RCS–I case-model and under the RUG–                                          consideration. Positive changes in this
                                                  would ask that the commenters describe                                      IV case-mix model. The multiplier is                                         column represent a projected positive
                                                  the types of behavioral changes we                                          calculated through the following steps.                                      shift in payments for that subpopulation
                                                  should expect. Additionally, we solicit                                     First, we calculate total payment                                            under the RCS–I model under
                                                  comments on what type of impact on                                          subtracted by pre-AIDS adjusted non-                                         consideration, while negative changes
                                                  states we should expect from                                                case mix payment under RUG–IV.                                               in this column represent projected
                                                  implementing the revisions considered                                       Second, we calculate what total                                              negative shifts in payment for that
                                                  in this ANPRM.                                                              payment would have been under RCS–                                           subpopulation. More information on the
                                                     Another assumption made for these                                        I before application of the parity                                           construction of current payments under
                                                  impacts is that, as with prior system                                       adjustment. Third, we subtract non-                                          RUG–IV and payments under the RCS–
                                                  transitions, we would implement the                                         case-mix component payments from                                             I model for purposes of this impact
                                                  RCS–I case-mix system, along with the                                       both calculations, as this component                                         analysis can be found in section 3.13 of
                                                  other policy changes discussed in                                           does not change across systems. This
                                                                                                                                                                                                           the SNF PMR Technical Report
                                                  section III of this ANPRM, in a budget                                      subtraction does not include the
                                                                                                                                                                                                           available at https://www.cms.gov/
                                                  neutral manner through application of a                                     temporary add-on for residents with
                                                                                                                                                                                                           Medicare/Medicare-Fee-for-Service-
                                                  parity adjustment to the case-mix                                           HIV/AIDS in the RUG–IV system,
                                                  weights under the RCS–I model under                                         therefore ensuring that the amount                                           Payment/SNFPPS/
                                                  consideration, as further discussed                                         subtracted is the same for both RUG–IV                                       therapyresearch.html. Based on the data
                                                  below. We make this assumption                                              and potential RCS–I payments, given                                          presented in Table 18, we observe that
                                                  because, as with prior system                                               the replacement of the temporary add-                                        the most significant shift in payments
                                                  transitions, in considering changes to                                      on described in section III.E. Lastly, we                                    created by implementation of the RCS–
                                                  the case-mix methodology, we do not                                         divide the remaining total RUG–IV                                            I case-mix model would be to redirect
                                                  intend to change the aggregate amount                                       payments over the remaining total RCS–                                       payments away from residents who are
                                                  of Medicare payments to SNFs, but                                           I payments prior to the parity                                               receiving very high amounts of therapy
                                                  rather to utilize a case-mix methodology                                    adjustment. This division yields a ratio                                     under the current SNF PPS (which
                                                  to classify residents in such a manner as                                   (parity adjustment) by which the RCS–                                        strongly incentivizes the provision of
                                                  to best ensure that payments made for                                       I CMIs are multiplied so that total                                          therapy) to residents with more complex
                                                  specific residents are an accurate                                          estimated payments under the RCS–I                                           clinical needs. Other resident types that
                                                  reflection of resource utilization without                                  model under consideration would be                                           may see higher relative payments under
                                                  introducing potential incentives which                                      equal to total estimated payments under                                      the RCS–I system are residents with
                                                  could incentivize inappropriate care                                        RUG–IV, assuming no changes in the                                           high NTA costs, dual-eligible residents,
                                                  delivery, as we believe may exist under                                     population, provider behavior, and                                           residents with ESRD, and residents with
                                                  the current case-mix methodology.                                           coding. More details regarding this                                          longer qualifying inpatient stays.

                                                                                                                TABLE 18—RCS–I IMPACT ANALYSIS, RESIDENT-LEVEL
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                                                                                                                                                                                                                                  Percent of     Percent
                                                                                                                     Resident characteristics                                                                                       stays        change

                                                  All stays ...................................................................................................................................................................         100.0              0.0
                                                  Sex:
                                                       Female ..............................................................................................................................................................              62.1        ¥0.7
                                                       Male ..................................................................................................................................................................            37.9         1.2
                                                  Age:
                                                       <65 years ..........................................................................................................................................................                9.6             5.4



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                                                  21010                               Federal Register / Vol. 82, No. 85 / Thursday, May 4, 2017 / Proposed Rules

                                                                                                    TABLE 18—RCS–I IMPACT ANALYSIS, RESIDENT-LEVEL—Continued
                                                                                                                                                                                                                                    Percent of     Percent
                                                                                                                      Resident characteristics                                                                                        stays        change

                                                       65–74 years ......................................................................................................................................................                   21.3         2.7
                                                       75–84 years ......................................................................................................................................................                   34.0        ¥0.3
                                                       85–89 years ......................................................................................................................................................                   19.3        ¥2.3
                                                       90+ years ..........................................................................................................................................................                 15.7        ¥2.8
                                                  Race/Ethnicity:
                                                       White .................................................................................................................................................................              85.2        ¥0.1
                                                       Black .................................................................................................................................................................              10.6         0.4
                                                       Hispanic ............................................................................................................................................................                 1.6        ¥0.2
                                                       Asian .................................................................................................................................................................               1.2        ¥0.8
                                                       Native American ...............................................................................................................................................                       0.4         6.6
                                                       Other or unknown .............................................................................................................................................                        1.1         0.7
                                                  Medicare/Medicaid Dual Status:
                                                       Dually enrolled ..................................................................................................................................................                   35.2         2.9
                                                       Not dually enrolled ............................................................................................................................................                     64.8        ¥1.9
                                                  Original Reason for Medicare Enrollment:
                                                       Aged .................................................................................................................................................................               76.6        ¥1.2
                                                       Disabled ............................................................................................................................................................                22.5         3.9
                                                       ESRD ................................................................................................................................................................                 0.9        10.0
                                                       Unknown ...........................................................................................................................................................                   0.0        ¥3.3
                                                  Number of Utilization Days:
                                                       1–15 days .........................................................................................................................................................                  33.3        15.9
                                                       16–30 days .......................................................................................................................................................                   31.6         0.6
                                                       31+ days ...........................................................................................................................................................                 35.1        ¥2.5
                                                  Number of Utilization Days = 100:
                                                       No .....................................................................................................................................................................             97.4         0.3
                                                       Yes ....................................................................................................................................................................              2.6        ¥2.7
                                                  Length of Qualifying Inpatient Stay:
                                                       3 days ...............................................................................................................................................................               22.5        ¥2.3
                                                       4–30 days .........................................................................................................................................................                  73.6         0.5
                                                       31+ days ...........................................................................................................................................................                  1.8         4.6
                                                  Presence of Complications in MS–DRG of Qualifying Inpatient Stay:
                                                       No Complication ...............................................................................................................................................                      37.9        ¥2.3
                                                       CC/MCC ...........................................................................................................................................................                   62.1         1.4
                                                  Stroke:
                                                       No .....................................................................................................................................................................             87.5        ¥0.1
                                                       Yes ....................................................................................................................................................................             12.5         0.7
                                                  CFS Level:
                                                       Cognitive Intact .................................................................................................................................................                   54.3        ¥0.5
                                                       Mildly Impaired .................................................................................................................................................                    22.8         1.6
                                                       Moderately Impaired .........................................................................................................................................                        18.2        ¥1.8
                                                       Severely Impaired .............................................................................................................................................                       4.6         6.1
                                                  HIV:
                                                       No .....................................................................................................................................................................             99.7         0.2
                                                       Yes ....................................................................................................................................................................              0.3       ¥40.0
                                                  IV Medication:
                                                       No .....................................................................................................................................................................             91.4        ¥2.0
                                                       Yes ....................................................................................................................................................................              8.6        22.9
                                                  Diabetes:
                                                       No .....................................................................................................................................................................             65.0        ¥2.8
                                                       Yes ....................................................................................................................................................................             35.0         5.2
                                                  Wound Infection:
                                                       No .....................................................................................................................................................................             97.8        ¥0.4
                                                       Yes ....................................................................................................................................................................              2.2        17.9
                                                  Amputation/Prosthesis Care:
                                                       No .....................................................................................................................................................................           100.0              0.0
                                                       Yes ....................................................................................................................................................................             0.0              4.7
                                                  Most Common Therapy Level:
                                                       RU .....................................................................................................................................................................             54.0        ¥9.1
                                                       RV .....................................................................................................................................................................             22.7         9.3
                                                       RH .....................................................................................................................................................................              7.7        24.4
                                                       RM ....................................................................................................................................................................               3.7        36.9
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                                                       RL .....................................................................................................................................................................              0.1        49.3
                                                       Non-Rehabilitation ............................................................................................................................................                      11.7        44.5
                                                  Number of Therapy Disciplines Used:
                                                       0 ........................................................................................................................................................................            5.4        20.0
                                                       1 ........................................................................................................................................................................            3.3        37.3
                                                       2 ........................................................................................................................................................................           51.4         1.6
                                                       3 ........................................................................................................................................................................           39.9        ¥3.9
                                                  Physical Therapy Utilization:
                                                       No .....................................................................................................................................................................              7.3        24.2
                                                       Yes ....................................................................................................................................................................             92.7        ¥1.0



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                                                                                      Federal Register / Vol. 82, No. 85 / Thursday, May 4, 2017 / Proposed Rules                                                                                  21011

                                                                                                    TABLE 18—RCS–I IMPACT ANALYSIS, RESIDENT-LEVEL—Continued
                                                                                                                                                                                                                                  Percent of     Percent
                                                                                                                     Resident characteristics                                                                                       stays        change

                                                  Occupational Therapy Utilization:
                                                      No .....................................................................................................................................................................             8.6        24.8
                                                      Yes ....................................................................................................................................................................            91.4        ¥1.2
                                                  Speech Language Pathology Utilization:
                                                      No .....................................................................................................................................................................            58.4         3.2
                                                      Yes ....................................................................................................................................................................            41.6        ¥3.1
                                                  Therapy Utilization:
                                                      PT+OT+SLP .....................................................................................................................................................                     39.9        ¥3.9
                                                      PT+OT Only .....................................................................................................................................................                    50.4         1.2
                                                      PT+SLP Only ....................................................................................................................................................                     0.6        22.9
                                                      OT+SLP Only ...................................................................................................................................................                      0.5        25.6
                                                      PT Only .............................................................................................................................................................                1.9        34.9
                                                      OT Only ............................................................................................................................................................                 0.7        41.8
                                                      SLP Only ..........................................................................................................................................................                  0.7        39.2
                                                      Non-therapy ......................................................................................................................................................                   5.4        20.0
                                                  NTA Costs:
                                                      $0–$10 ..............................................................................................................................................................               10.9        ¥2.6
                                                      $10–$50 ............................................................................................................................................................                44.1        ¥3.2
                                                      $50–$150 ..........................................................................................................................................................                 32.1         3.5
                                                      $150+ ................................................................................................................................................................               9.4        19.2
                                                      Unknown ...........................................................................................................................................................                  3.5         3.3
                                                  Extensive Services Level:
                                                      Tracheostomy and Ventilator/Respirator ..........................................................................................................                                    0.4        18.1
                                                      Tracheostomy or Ventilator/Respirator .............................................................................................................                                  0.6         3.1
                                                      Infection Isolation ..............................................................................................................................................                   1.3         8.9
                                                      Neither ..............................................................................................................................................................              97.8        ¥0.3



                                                    Projected facility-level impacts are                                      under the RCS–I model under                                                  payments created by implementation of
                                                  presented in Table 19. The first column                                     consideration, while negative changes                                        the RCS–I case-mix model would be
                                                  identifies different facility                                               in this column represent projected                                           from facilities with a high proportion of
                                                  subpopulations and the second column                                        negative shifts in payment for that                                          rehabilitation residents (more
                                                  shows the percentage of SNFs                                                subpopulation. More information on the                                       specifically, facilities with high
                                                  represented by the given subpopulation.                                     construction of current payments under                                       proportions of Ultra-High Rehabilitation
                                                  The third column shows the average                                          RUG–IV and payments under the RCS–                                           residents), to facilities with high
                                                  change in payment for facilities in a                                       I model for purposes of this impact                                          proportions of non-rehabilitation
                                                  given subpopulation, represented as a                                       analysis can be found in section 3.13 of                                     residents. Other facility types that may
                                                  percentage change from payments made                                        the SNF PMR Technical Report
                                                                                                                                                                                                           see higher relative payments under the
                                                  for that subpopulation under RUG–IV                                         available at https://www.cms.gov/
                                                                                                                                                                                                           RCS–I system that we describe here are
                                                  versus those which would be made                                            Medicare/Medicare-Fee-for-Service-
                                                  under the RCS–I model under                                                 Payment/SNFPPS/                                                              small facilities, non-profit facilities,
                                                  consideration. Positive changes in this                                     therapyresearch.html. Based on the data                                      government-owned facilities, and
                                                  column represent a projected positive                                       presented in Table 19, we observe that                                       hospital-based and swing-bed facilities.
                                                  shift in payments for that subpopulation                                    the most significant shift in Medicare

                                                                                                                 TABLE 19—RCS–I IMPACT ANALYSIS, FACILITY-LEVEL
                                                                                                                                                                                                                                  Percent of     Percent
                                                                                                                      Provider characteristics                                                                                    providers      change

                                                  All stays ...................................................................................................................................................................         100.0              0.0
                                                  Institution type:
                                                        Freestanding .....................................................................................................................................................                95.0        ¥0.5
                                                        Hospital-Based/Swing Bed ...............................................................................................................................                           5.0        15.8
                                                  Ownership:
                                                        For-profit ...........................................................................................................................................................            71.2        ¥1.1
                                                        Non-profit ..........................................................................................................................................................             23.9         3.1
                                                        Government ......................................................................................................................................................                  5.0         7.6
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                                                  Location:
                                                        Urban ................................................................................................................................................................            70.6        ¥0.8
                                                        Rural .................................................................................................................................................................           29.4         3.7
                                                  Bed Size:
                                                        0–49 ..................................................................................................................................................................           11.2         6.7
                                                        50–99 ................................................................................................................................................................            37.1         0.3
                                                        100–149 ............................................................................................................................................................              34.3        ¥0.6
                                                        150–199 ............................................................................................................................................................              11.2        ¥0.5
                                                        200+ ..................................................................................................................................................................            6.1        ¥0.7
                                                  Census division:



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                                                  21012                               Federal Register / Vol. 82, No. 85 / Thursday, May 4, 2017 / Proposed Rules

                                                                                                     TABLE 19—RCS–I IMPACT ANALYSIS, FACILITY-LEVEL—Continued
                                                                                                                                                                                                                                  Percent of     Percent
                                                                                                                      Provider characteristics                                                                                    providers      change

                                                        New England ....................................................................................................................................................                   6.2            2.1
                                                        Middle Atlantic ..................................................................................................................................................                11.2           ¥1.3
                                                        East North Central ............................................................................................................................................                   19.9            0.2
                                                        West North Central ...........................................................................................................................................                    12.8            6.9
                                                        South Atlantic ...................................................................................................................................................                15.4           ¥0.8
                                                        East South Central ...........................................................................................................................................                     6.6            1.0
                                                        West South Central ..........................................................................................................................................                     13.2           ¥1.5
                                                        Mountain ...........................................................................................................................................................               4.7            0.9
                                                        Pacific ...............................................................................................................................................................           10.1           ¥1.3
                                                  %   of Stays with 100 Utilization Days:
                                                        0–10% ...............................................................................................................................................................             90.4            0.3
                                                        10–25% .............................................................................................................................................................               8.6           ¥3.2
                                                        25–100% ...........................................................................................................................................................                1.0           ¥3.9
                                                  %   of Stays with Medicare/Medicaid Dual Enrollment:
                                                        0–10% ...............................................................................................................................................................              8.4           ¥1.7
                                                        10–2% ...............................................................................................................................................................             17.2           ¥0.7
                                                        25–50% .............................................................................................................................................................              35.5            0.6
                                                        50–75% .............................................................................................................................................................              26.5            0.8
                                                        75–90% .............................................................................................................................................................               8.5           ¥0.4
                                                        90–100% ...........................................................................................................................................................                3.8           ¥0.5
                                                  %   of Utilization Days Billed as RU:
                                                        0–10% ...............................................................................................................................................................             12.5           28.4
                                                        10–25% .............................................................................................................................................................               9.8           13.6
                                                        25–50% .............................................................................................................................................................              25.5            5.6
                                                        50–75% .............................................................................................................................................................              37.2           ¥1.9
                                                        75–90% .............................................................................................................................................................              13.0           ¥7.1
                                                        90–100% ...........................................................................................................................................................                2.1           ¥9.9
                                                  %   of Utilization Days Billed as Non-Rehabilitation:
                                                        0–10% ...............................................................................................................................................................             70.4           ¥2.2
                                                        10–25% .............................................................................................................................................................              23.2            6.3
                                                        25–50% .............................................................................................................................................................               4.6           20.2
                                                        50–75% .............................................................................................................................................................               1.0           45.6
                                                        75–90% .............................................................................................................................................................               0.2           44.8
                                                        90–100% ...........................................................................................................................................................                0.7           38.4



                                                     In addition to the impacts discussed                                     Office of Management and Budget                                              able to acknowledge or respond to them
                                                  throughout this section, we would also                                      (OMB) under the authority of the                                             individually. We will review all
                                                  note that we expect a significant                                           Paperwork Reduction Act of 1995 (44                                          comments we receive by the date and
                                                  reduction in regulatory burden under                                        U.S.C. 3501 et seq.). Should the                                             time specified in the DATES section of
                                                  the SNF PPS, due to the changes we are                                      outcome of the ANPRM result in any                                           this preamble, as we continue to
                                                  considering in the MDS assessment                                           new or revised information collection                                        consider the model presented in this
                                                  schedule, as discussed above in section                                     requirements or burden, the                                                  ANPRM.
                                                  III.C.1 of this ANPRM. We invite                                            requirements and burden will be
                                                  comments on the impact analysis                                             submitted to OMB for approval.                                                 Dated: April 21, 2017.
                                                  presented here.                                                             Interested parties will also be provided                                     Seema Verma
                                                                                                                              an opportunity to comment on such                                            Administrator, Centers for Medicare &
                                                  IV. Collection of Information
                                                                                                                              information through subsequent                                               Medicaid Services.
                                                  Requirements
                                                                                                                              proposed and final rulemaking                                                  Dated: April 21, 2017.
                                                    This ANPRM solicits comment on                                            documents.                                                                   Thomas E. Price
                                                  several options pertaining to the SNF
                                                  PPS payment methodology. Since it                                           V. Response to Comments                                                      Secretary, Department of Health and Human
                                                  does not propose any new or revised                                           Because of the large number of public                                      Services.
                                                  information collection requirements or                                      comments we normally receive on                                              [FR Doc. 2017–08519 Filed 4–27–17; 4:15 pm]
                                                  burden, it need not be reviewed by the                                      Federal Register documents, we are not                                       BILLING CODE 4120–01–P
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Document Created: 2017-05-04 01:49:00
Document Modified: 2017-05-04 01:49:00
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
ActionAdvance notice of proposed rulemaking with comment.
DatesTo be assured consideration, comments must be received at one of
ContactJohn Kane, (410) 786-0557.
FR Citation82 FR 20980 
RIN Number0938-AT17
CFR Citation42 CFR 409
42 CFR 488

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