2014 Model of Care Training SHP_2014838A



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2014 Model of Care Training SHP_2014838A 1

Model of Care Training This course is offered to meet the CMS regulatory requirements for Model of Care Training for our Special Needs Plans. It also ensures all employees and providers who work with our Special Needs Plan members have the specialized training this unique population requires. 2

Model of Care Training The Model of Care (MOC) is Superior s documentation of the CMS directed plan for delivering coordinated care and case management to Members with both Medicare and Medicaid. The Centers for Medicare and Medicaid (CMS) require all Superior staff and contracted medical Providers to receive basic training about the Superior duals program Model of Care (MOC). This course will describe how Superior and its contracted Providers work together to successfully deliver the duals MOC program. 3

Model of Care Training After the training, attendees will be able to: Describe the basic components of the Superior Model of Care (MOC) Explain how Superior medical management staff coordinates care for dual eligible Members Describe the essential role of Providers in the implementation of the MOC program Explain the critical role of the Provider as part of the MOC required Interdisciplinary Care Team (ICT) 4

Model of Care Training Superior provides a Dual Special Needs Plan (D-SNP) for dual eligible Members: Advantage by Superior Health Plan 5

D-SNP Medicare Advantage Special Needs Plans (SNPs) are designed for specific groups of Members with special health care needs. CMS has defined three types of SNPs that serve the following types of Members: Dually eligible Members (D-SNP) Individuals with chronic conditions (C-SNP) Individuals who are institutionalized or eligible for nursing home care (I-SNP) Health plans may contract with CMS for one or more programs. Superior currently contracts for D-SNP only. 6

D-SNP For D-SNP Members, Medicare is always the primary payor and Medicaid is secondary payor. D-SNP Members may have both Superior Medicare and Superior Medicaid but not always so it is important to verify coverage prior to servicing the Member. You may see Members with Superior Medicare and their Medicaid is under another health plan or traditional FFS Medicaid or vice versa. 7

Medicare-Medicaid Plan (MMP) Duals or Medicare-Medicaid Plan (MMP) is a new 3 way program as of 03/01/15 between CMS, Medicaid and Superior as defined in Section 2602 of the Affordable Care Act. Purpose: Improve quality, reduce costs, and improve the member experience. Ensure dually eligible Members have full access to the services to which they are entitled. Improve the coordination between the federal government and state requirements. Develop innovative care coordination and integration models. Eliminate financial misalignments that lead to poor quality and cost shifting. 8

Medicare-Medicaid Plan (MMP) Eligibility rules vary from state to but general eligibility guidelines must be met: Eligibility for Medicare Eligibility for Medicaid No private insurance For MMP the Medicare and Medicaid benefits are rolled up as one benefit with Superior coordinating services and payment. MMP Members have full Medicare and Medicaid benefits. MMP will begin for Superior HealthPlan in 3/1/2015 as the STAR+PLUS MMP program. 9

What is Model of Care? The Model of Care is Superior s plan for delivering our integrated care management program for Members with special needs. It is the architecture for care management policy, procedures, and operational systems. 10

Model of Care Goals The goals of the MOC are to: Improve access to medical, mental health, and social services. Improve access to affordable care. Improve coordination of care through an identified point of contact. Improve transitions of care across healthcare settings and Providers. Improve access to preventive health services. Assure appropriate utilization of services. Assure cost-effective service delivery. Improve beneficiary health outcomes. 11

Model of Care CMS re-organized the 11 MOC elements to 4 in 2014 to: Integrate the related elements. Promote clarity and enhance the focus on care needs and activities. Highlight the importance of care coordination. Address care transitions as well as other aspects of care coordination, which were not explicitly captured in the 11 elements. 12

Model of Care The revised Model of Care elements are: Description of the SNP Population Care Coordination SNP Provider Network Quality Measurements & Performance Improvement 13

Model of Care Process Every dual Member is evaluated with a comprehensive Health Risk Assessment (HRA) within 90 days of enrollment, and at minimum annually, or more frequently with any significant change in condition or transition of care. The HRA collects information about the Members medical, psychosocial, cognitive, and functional needs, and medical and behavioral health history. Member s are then triaged to the appropriate Superior case management program for follow-up. 14

Individualized Care Plan (ICP) An Individualized Care Plan (ICP) is developed with input from all parties involved in the member s care. The Individualized Care plan includes: Goals and Objectives Specific services and benefits to be provided Measureable Outcomes 15

Individualized Care Plan (ICP) Members receive monitoring, service referrals, and condition specific education. Case Manager s and PCP s work closely together with the Member and their family to prepare, implement and evaluate the Individualized Care Plan (ICP). Superior disseminates evidence-based clinical guidelines and conducts studies to: Measure Member outcomes Monitor quality of care Evaluate the effectiveness of the Model of Care (MOC) 16

Interdisciplinary Care Team (ICT) Superior Case Managers coordinate the Member s care with the Interdisciplinary Care Team (ICT) which includes appropriately involved Superior staff, the Member and their family/caregiver, external practitioners and vendors involved in the Member s care based on the Member s preference of who they wish to attend. Superior Case Managers work with the Member to encourage self-management of their condition as well as communicate the Member s progress toward these goals to the other Members of the ICT. 17

ICT and Inpatient Care Superior s Case Managers: Coordinate with facilities to assist Members in the hospital or in a skilled nursing facility to access care at the appropriate level. Work with the facility and the Member or the Member s representative to develop a discharge plan. Proactively identify Members with potential for readmission and enroll them in case management. 18

ICT and Inpatient Care Notify the PCP of the transition of care and anticipated discharge date and discharge plan of care. Superior staff manage transitions of care to ensure that Members have appropriate follow-up care after a hospitalization or change in level of care to prevent readmissions. During an episode of illness, Members may receive care in multiple settings often resulting in fragmented and poorly executed transitions. 19

ICT and Transition of Care Managing Transitions of Care interventions for all discharged Members may include but not limited to: Face to face or telephonic contact with the Member or their representative in the hospital prior to discharge to discuss the discharge plan. 20

ICT and Transition of Care In home visits or phone call within 1-2 days post discharge to evaluate Member s: 1. Understanding of their discharge plan 2. Understanding of their medication plan 3. Ensure follow up appointments have been made 4. Home situation supports the discharge plan Enrollment into the Case Management program Ongoing education of Members to include preventive health strategies in order to maintain care in the least restrictive setting possible for their health care needs 21

ICT Superior s program is Member centric with the PCP being the primary ICT point of contact. Superior staff work with all Members of the ICT in coordinating the plan of care for the Member. 22

ICT Member Responsibilities Superior works with each Member to: Develop their personal goals and interventions for improving their health outcomes. Monitor implementation and barriers to compliance with the physician s plan of care. Identify/anticipate problems and act as the liaison between the Member and their PCP. Identify Long Term Services and Supports (LTSS) needs and coordinate services as applicable. 23

ICT Member Responsibilities Superior works with each Member to: Coordinate care and services between the Member s Medicare and Medicaid benefit. Educate Members about their health conditions and medications and empower them to make good healthcare decisions. Prepare members/caregivers for their provider visits-utilize personal health record. Refer Members to community resources as identified. Notify the Member s physician of planned and unplanned transitions. 24

Provider ICT Responsibilities Provider responsibilities include: Accepting invitations to attend Member s ICT meetings whenever possible. Maintaining copies of the ICP, ICT worksheets and transition of care notifications in the Member s medical record when received. Collaborating and actively communicating with: Superior Case Managers Members of the Interdisciplinary Care Team (ICT) Members and caregivers 25

CMS Expectations for the ICT CMS expects the following related to the ICT: All care is per Member preference. Family Members and caregivers are included in health care decisions as the Member desires. There is continual communication between all Members of the ICT regarding the Member s plan of care. All team meetings/communications are documented and stored. 26

Provider Network Superior is responsible for maintaining a specialized provider network that corresponds to the needs of our Members Superior coordinates care and ensures that Providers: Collaborate with the Interdisciplinary Care Team. Provide clinical consultation. Assist with developing and updating care plans. Provide pharmacotherapy consultation. 27

Provider Network CMS expects Superior to: Prioritize contracting with board-certified Providers. Monitor network Providers to assure they use nationally recognized clinical practice guidelines when available. Assure that network Providers are licensed and competent through a formal credentialing process. Document the process for linking members to services. Coordinate the maintenance and sharing of Member s health care information among Providers and the ICT. 28

CMS Expectations All team members are involved and informed in the coordination of care for the Member. All team members must be advised on the ICT program metrics and outcomes. All internal and external ICT members are trained annually on the current Model of Care. 29

Summary Superior values our partnership with our physicians and Providers The Model of Care requires all of us to work together to benefit our Members by: Enhanced communication between Members, physicians, Providers and Superior Interdisciplinary approach to the Member s special needs Comprehensive coordination with all care partners Support for the Member's preferences in the plan of care Reinforcement of the Member s connection with their medical home 30

Attestation for Completion of Training Annual Model of Care Training is a CMS Regulatory Requirement. By signing below, you are attesting to the fact that this training has been completed by you or by you on behalf of the providers listed below. Please print this page, complete the information and return/email it to your Provider Relations Representative or to sathompson@centene.com no later than December 31, 2014. Date Training Completed: Provider Name (s): Provider Address: Provider Phone: Provider Tax ID(s): Signature: Printed Name: Title: 31