marti wolf, rn, mph clinical programs director north carolina community health center association
TRANSCRIPT
Marti Wolf, RN, MPH
Clinical Programs Director
North Carolina Community Health Center Association
*FTCA
*Assessment
1. When submitting FTCA application, it should include all providers, including new hires who are not yet working at the health center.
2. Minutes of meetings are adequate for documenting Board approval.
3. We are Joint Commission Accredited. Therefore our Credentialing/Privileging meets or exceeds HRSA standards.
4. QI/QA and Risk Management Plans should be approved every 3 years.
5. For Peer Review, NPs and PAs can review MDs.
*FTCA
*Remember you are working a year in advance
*2014 FTCA applications went in March 2013
*Annual Re-deeming
*New deeming can be done any time during the year
*Elements of FTCA
*Credentialing and Privileging
*Quality Improvement
*Risk Management
*Peer Review
FTCA “Bibles”
PIN 2001-16
PIN 2002-22
Annual PIN
*RISK MANAGEMENT
*FTCA- Risk Management
*Assess, identify, analyze
*Control/avoid/minimize/eliminate events
*Cause a loss to the organization
*Adverse outcomes
*Harm
*Proactive instead of Reactive
*FTCA- Risk Management
*Risk Management is comprehensive of the entire organization.
*Risk Management is Board driven and Board overseen.
*Risk Management and/or QI programs audit Cred/Priv processes to ensure compliance.
*Risk Management PLANhttps://members2.ecri.org/Components/HRSA/Pages/PSRMPol10.aspx
*FTCA-Risk Management
*Governance
*Administrative
*Business/Finance
*Environment
*Human Resources
*IT
*Clinical
*Clinical risk management includes:
*Annual risk assessment
*Clinical protocols
*Peer reviews
*Supervision of health center staff: clinical and nonclinical
*Medical records policies
*Triage policies (walk-in and phone)
*No show appointment policies
*Tracking policies: referrals, hospitalizations and diagnostic testing
*FTCA- Risk Management
*FTCA-Risk Management
*NonClinical
Building and Grounds- Safety and Security-
Equipment management-Board
Responsibilities- Contracts and Procurement-
Record Retention-Corp/Regulatory/Grant
Compliance-Disaster Prep- Incident Report
management- Finance/billing- Human
Resources compliance (FMLA, at will
employment)- Staff Training- Credentialing-IT
(backup, security levels)- Patient satisfaction-
Disaster Response- HIPAA
*Staff training in Risk Management
*Description of available opportunities
*Process to ensure staff receive RM training
*FTCA- Risk Management
*Training Topics- depending on your Scope*Patient safety
*Infection control/hand hygiene
*Teamwork and communication
*Medication safety
*Fall prevention
*Fire safety
*Documentation
*Disaster planning
*Obstetrics safety
*FTCA- Risk Management
*OSHA
*Bloodborne Pathogen
*Hazard Communication/ Disclosure
*Hand Hygiene
*Sharps Injury Prevention
*PPE
*MSDS
*FTCA-Risk Management
Prevention of Medical Malpractice
*Scope of grant and privileging
*Clinical outcomes measurement
*Event/incident monitoring
*Supervisory agreements
*NPDB
*Claims reviews
*FTCA- Risk Management
Implementation is documented by
*P/P
*Training- right up to BOD
*Data on RM activities
*Minutes showing data being reviewed
*Solutions to identified problems are implemented
*On-going monitoring and risk assessment
*Board reports
*FTCA-Risk Management
P/P
*Triage
*No shows
*Supervision of staff
*Referrals/Hospitalization/Diagnostics
*QUALITY IMPROVEMENT
*FTCA- Quality Improvement
• Plan should include: –Statement of purpose–Scope of plan–Administrative responsibility–Risk management systems–Committee membership–Committee accountability
–Activities; tracking
–Approval; review– https://
members2.ecri.org/Components/HRSA/Pages/PSRMPol20.aspx
– https://members2.ecri.org/Components/HRSA/Pages/PSRMPol21.aspx
• QI and Board meeting minutes should:
– Include specific data about ongoing QI projects
–Report performance on selected measures from QI plan
–Progress on goals for QI program
–MINUTES FROM ANY 6 MEETINGS*
*FTCA- Quality Improvement
Clinical Protocols
*Frequent conditions
*Standards of Care
*Updated
*Provider/clinical staff training
*Peer review based on Clinical Protocols
*QI metrics
*FTCA- Quality Improvement
*Credentialing and Privileging
Credentialing: The process of assessing and
confirming the qualifications of a licensed or
certified healthcare practitioner to render
specific health care service(s).
Privileging: The process of granting the
qualified health care provider (Licensed
independent practitioners ) the permissions to
render specific health care services and perform
specific health care procedures for a limited
time (2 years).*FTCA-Credentialing and Privileging
*AND is the operative phrase
*Credentialing IS NOT THE SAME as Privileging
*FTCA-Credentialing and Privileging
•Ensures all health care providers (LIP’s) and clinical staff (licensed and certified) are qualified to render the type of care for which they are employed.
• Involves evaluating a practitioner’s eligibility to provide clinical services at the health center and evaluating the provider’s competency for specific clinical privileges.
•Failure to fully credential may result in liability if a patient is harmed.
*FTCA-Credentialing and Privileging
*FTCA-Credentialing and Privileging
*Policy Information Notice (PIN) 2001-16, Credentialing
and Privileging of Health Center Practitioners requires
that "all Health Centers assess the credentials of
each licensed or certified health care
practitioner to determine if they meet Health
Center standards." This policy applies to all health
center practitioners, employed or contracted,
volunteers and locum tenens, at all health center sites.
http://bphc.hrsa.gov/policiesregulations/policies/pin200222.html
*You must comply with HRSA policies
*Joint Commission or other accreditation/recognition bodies do not supersede HRSA requirements
*Must comply with any state regs
*Cross check with your Scope to ensure they match your privileging/services provided
*FTCA-Credentialing and Privileging
• DOCUMENTATION: Attachment E: upload the credentialing list (excel spread sheet).
*FTCA-Credentialing and Privileging
*On your credentialing list
*All practitioners, employed or contracted, volunteer and locum tenens
*From all of your sites
*ONLY THOSE CURRENTLY WORKING AT TIME OF THE SUBMISSION
*FTCA-Credentialing and Privileging
*Approval of the Cred/Priv POLICY
*F1- your credentialing and privileging POLICY
*Board approved- date and signature of board chair
*F2- board minutes as proof of board approval
*Signed and dated and clearly indicate board approval of the Policy
*FTCA-Credentialing and Privileging
DOCUMENTATION: ATTACHMENTS F1 AND F2
*Credentialing PROCEDURE (plan)*Addresses your duty to care for patients and prevent harm
*STEP by STEP PROCESS
*Provides for on-going education, training and licensure/certification
*“Provides a clear pathway… to hire and/or dismiss clinical staff”
*All LIPs, and other licensed/certified practitioners
*FTCA-Credentialing and Privileging
*TIPS For a HAPPY Credentialing Plan*HRSA likes to see the PINS referenced in the Policy and Procedure
*Specifically indicates when primary and 2ndary sources are used (… see PINs )
*Specifies re-credentialing every 2 years
*Includes Board approval or specifies how Board approval of Policy and Credentialing are delegated
*Policy and Plan should be approved and re-signed every 3 years
*FTCA-Credentialing and Privileging
*Common Confusion*PRIMARY SOURCE VERIFICATION
*Direct written correspondence
*telephone
*Internet
*CVO report (cred verification org)
*AMA Master File, other medical boards
*SECONDARY SOURCE VERIFICATION
*Original credential
*Notarized copies
*Copy of credential – must be made by approved health center staff member
*FTCA-Credentialing and Privileging
*FTCA-Credentialing and Privileging
*Primary source verification for LIPs is obtained for the following:
*Applicant’s license
*Applicant’s education, training, experience
*Applicant’s registration
*Application’s certifications
*Applicant’s current competence
*Applicant’s ability to perform services for which privileges are requested
*Secondary source verification for LIPs is obtained for the following:
*Government-issued photo ID
*DEA registration (if applicable)
*Hospital admitting privileges (if applicable)
*Immunization and PPD status
*Primary source verification for other providers is obtained for the following:
*Applicant’s license
*Secondary source verification for other providers is obtained for the following:
*Applicant’s education, training, experience
*Applicant’s registration and certifications
*Applicant’s current competence
*Applicant’s ability to perform services for which privileges are requested
*Government-issued photo ID
*DEA registration (if applicable)
*Hospital admitting privileges (if applicable)
*Immunization and PPD status
*FTCA-Credentialing and Privileging
*CHECKLIST of required information
Curriculum vitae (CV)
Diplomas (e.g., undergraduate, post-graduate, medical school, residency, fellowship)
Statement confirming health fitness
Certificates (e.g., board certification, BLS, ACLS)
Medical licenses
Drug Enforcement Administration (DEA) registration (if applicable)
Controlled Dangerous Substances (CDS) registration (if applicable)
Peer references*FTCA-Credentialing and Privileging
Proof of liability insurance
Summary of malpractice claims/adverse actions filed against the provider
National Practitioner Data Bank (NPBD) query q 2 yr
Delineation of privileges
Government-issued picture identification
Immunization and PPD status
Life support training (if applicable)
Fit for duty
Verification of hospital and/or facilities privileges
*FTCA-Credentialing and Privileging
But Wait! There’s MORE! CHECKLIST of required information
*Maintain complete and organized required credentialing documentations and records.
*Regularly identify expiring credentials before expiration
*Review each file once per year to identify any missing items.
*If you use a credentials verification organization (CVO):
* Ensure the CVO understands FTCA requirements.
*The contract with the CVO speaks to privacy, document owners, document retention.
*Ensure your privacy release (signed by LIP) speaks to the use of a CVO by the organization.
Your responsibilities
*Privileges
*Each practitioner should be privileged specific to the services prior to rendering services.
*Privileging processes verifies clinical privileges and medical staff membership at local facilities (admitting privileges, etc)
*Renewal or revisions of privileges for LIPs and other licensed or certified practitioners must occur at least every two years.
*Full and temporary privileges need to be clearly defined (time limited with only specific reasons for temporary).- at least q 2 yrs
*Providers must be privileged prior to rendering health care services.
*Approved applicants are notified in writing within a defined timeframe.
*Approved applications and a copy of the approval letter are forwarded to appropriate internal personnel within a defined timeframe.
*Applications whose requests are denied are notified within a defined timeframe.
*The health center has a defined policy for making changes to final approved/denied applications.
*Board must approve privileges or must formally delegate this activity to a committee
*Board must document approval of privileges*Privileges
*Peer Review
Peer Review is a QI process
*Quality of care
*Patient safety
*Learn from past performance, errors, near misses
*Is integral to credentialing and privileging
*Per FTCA, Midlevels can review MDs
*Who is in charge of Peer Review Process
*Duties/Responsibilities of that person
*Frequency of review
*Number of charts reviewed per provider
*How feedback is communicated and documented
*Maintains pt confidentiality during the process
*How peer review is communicated to BOD
*Methodology for improvement strategies*Peer Review
*ALIGNS WITH PCMH
*REFERRAL/HOSPITALIZATION/DIAGNOSTIC TRACKING P/P
*QUALITY IMPROVEMENT PLAN AND ACTIVITIES
*Assessment
1. When submitting FTCA application, it should include all providers, including new hires who are not yet working at the health center.
2. Minutes of meetings are adequate for documenting Board approval.
3. We are Joint Commission Accredited. Therefore our Credentialing/Privileging meets or exceeds HRSA standards.
4. QI/QA and Risk Management Plans should be approved every 3 years.
5. For Peer Review, NPs and PAs can review MDs.
*HRSA Resources
*FTCA/BPHC Help Line
*Phone: 1-877-974-BPHC (877-974-2742)
*9:00 AM to 5:30 PM (ET)
*Email: [email protected]
*FTCA Website: http://www.bphc.hrsa.gov/ftca/
*HRSA Quality Improvement Webinars: http://bphc.hrsa.gov/policiesregulations/quality/
*ECRI Resources (paid for by HRSA)
* Sample Risk Management Policy: Physician Office Practice https://members2.ecri.org/Components/HRSA/Pages/PSRMPol3.aspx
* Patient Satisfaction Questionnaire https://members2.ecri.org/Components/HRSA/Pages/PSRMPol2.aspx
* Anecdotal Note for Patient Concerns https://members2.ecri.org/Components/HRSA/Pages/OAPol4.aspx
* Handling Patient Complaints https://members2.ecri.org/Components/HRSA/Pages/OAPol3.aspx
* Safety Attitudes Questionnaire (Ambulatory Version) https://members2.ecri.org/Components/HRSA/Pages/PSRMPol1.aspx
* Risk Management Plan: https://members2.ecri.org/Components/HRSA/Pages/RMPlan.aspx
* Event Reporting Toolkit: https://members2.ecri.org/Components/HRSA/Pages/EventReportToolkit.aspx
* Webinars https://members2.ecri.org/Components/HRSA/Pages/Webinar_Audioconf_Archive.aspx:
* Clinical Risk Management Basics Part I
* Developing a Risk Management Plan
* ECRI Resource Page: Quality Improvement: https://members2.ecri.org/Components/HRSA/Pages/QI.aspx