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HomeMy WebLinkAboutMHIDDEI-415 Contracted Services Program Monitoring1 FRANKLIN/FULTON COUNTY MENTAL HEALTH/INTELLECTUAL & DEVELOPMENTAL DISABILITIES/EARLY INTERVENTION 425 Franklin Farm Lane Chambersburg, PA 17202 (717) 264-5387 MH/IDD/EI PROCEDURE STATEMENT PROCEDURE SUBJECT: Contracted Service Program Monitoring PROCEDURE NUMBER: MHIDDEI-415 Effective Date: January 1, 2004 Date Revised: September 27, 2018 INTRODUCTION: The monitoring of programs contracted by MH/IDD/EI will be an ongoing process of the Franklin/Fulton MH/IDD/EI Program Office (hereafter “MH/IDD/EI”). The mission, vision, and values of MH/IDD/EI, as stated in Procedure Statement MHIDDEI-401, as well as the State mandated provider monitoring tools for EI and IDD, and the MH/IDD/EI contract will serve as the basis for monitoring of contracted services. The intent of the monitoring process is to assist providers in implementing regulations and meeting contract requirements as well as to ensure the provision of high quality services. The monitoring process will be the established mechanism to allow positive feedback from MH/IDD/EI to be shared with service providers and allow for the refinement or correction of provided services and/or contract provisions. Continued delivery of high quality services is the responsibility of the provider and, to ensure this, the provider will have its own internal procedures for self-evaluation. This internal procedure is also subject to monitoring review by MH/IDD/EI. PROCEDURE:  Provider monitoring will be done at a minimum of once a year for each provider, within each fiscal year (July 1st – June 30th), and may be done in conjunction with a site visit, or during the provider re-qualification process. Although most monitoring visits will be scheduled in advance, on occasion, monitoring visits may be conducted on several hours’ notice or no notice at all. MH/IDD/EI reserves the right to conduct monitoring visits without prior notice to the provider.  The program monitoring will be based on applicable Department of Human Services (DHS) regulations, the provider’s contract, the work statement/checklist, quality enhancement policies, previous monitoring reports, previous licensing inspection 2 summaries, program evaluation recommendations and/or such programmatic issues as may need to be addressed.  While all three (3) programs have their own monitoring tool, which can be obtained through a Program Specialist, the attached universal checklist will also be used to monitor compliance with the contract.  The monitoring visit or review may include but not be limited to a site visit, observation of and/or conversation with individuals accessing the services and/or their family member and staff, a review of program manuals, program files, service recipient’s files, staff files, service recipient’s financial transactions, and program financial records. MH/IDD/EI fiscal staff may conduct, or participate in, monitoring visits for the purpose of fiscal monitoring.  The objective of the monitoring visits is to address all areas of compliance/ noncompliance. Any issues identified as life-threatening to anyone served and/or blatant violations of contract provisions must be corrected immediately. An incident report will be completed per regulations. The corrective action must be reported to the MH/IDD/EI Administrator within 24 hours.  The results of the monitoring review will be documented in the applicable tool. The Program Specialist may recommend strategies for program improvement.  For any provider on the Advisory Board list, the complete monitoring report will be submitted to the MH/IDD/EI Advisory Board at a regularly scheduled or, if necessary, emergency meeting. After the MH/IDD/EI Advisory Board’s approval, the formal monitoring report will be submitted to the provider.  The provider is responsible for submitting the completed Plan of Correction/ Improvement Plan to MH/IDD/EI within (30) days after receipt of formal monitoring report. After review, the Program Specialist will notify the provider if the Plan of Correction/Improvement Plan has been approved and schedule a date for validation. If the provider and the Program Specialist cannot reach an agreement on the Plan of Correction/Improvement Plan, the matter will be taken to the MH/IDD/EI Administrator. ATTACHMENT: Universal Checklist Monitoring Tool 3 Fiscal Year: ____________ UNIVERSAL CHECKLIST FOR PROVIDER MONITORING CONTRACT SECTION CHECKLIST ITEM YES NO N/A COMMENTS 3, F, H If applicable, does provider have current full licensure? 3, I Does provider have a policy “Protection of Client Funds and Property” 4, E Are authorizations for services in individual case files/ISPs? 4, J Does provider assure that individual has no insurance before billing the county as the payer of last resort? (view their operating procedure) 5, A, B Quality Assurance (refer to Appendices “D”, “E” and “F”). Does provider comply with these standards for your program? 16, A-C Verify all required insurances are in place as applicable: 1. Commercial General Liability $1,000,000 per occurrence 2. Professional Liability/Errors and Omissions $1,000,000/aggregate 3. Workman’s Compensation (PA Statutory Coverage & Employer’s Liability at Minimum Limits) 4. Medical Malpractice $1,000,000/occurrence, $3,000,000/aggregate 5. Auto Insurance/combined single limit of $500,000 per occurrence for bodily injury/property damage 6. Key Person Life insurance as applicable 17 Statements of Disclosure and Board Member lists are in place and up-to-date 18, A-D Does provider comply with MH/IDD/EI Record Retention Policy? 18, E Client Records which is adequate for the following: 1. History of service to the individual 2. Planning and evaluation of individual’s program 3. Provides means of communication among all involved staff 4. Documents individual’s progress and response to services 5. Serves as basis for review, study and evaluation of overall program operated by provider/provides date for research 6. Protects legal right of individual/staff 20 Meeting Attendance. Provider attends quarterly MH/IDD/EI provider meetings and any other requested 4 ad hoc meetings 21 Training – Provider provides the following training to their staff/volunteers: 1. Client abuse (including sexual abuse) and behaviors associated with someone who has been abused 2. Annual training on the following applicable subjects occurs: ODP required trainings, medication management, behavior support, fire safety, abuse investigation, assistive technology, client rights, diversity, resiliency/recovery (MH providers), reporting of unusual incidents 24 All generated public provider materials contain statement “This facility is funded in whole or in part, through a contract with Franklin/Fulton MH/IDD/EI Program” 26 Liabilities are collected and Room and Board Contracts are reviewed/in place as required and applicable 27 Grievance Procedures for individuals served is in place and is in compliance with MH/IDD/EI policy. It is posted prominently for individuals to see and includes address and telephone number for MH/IDD/EI Administrator 28 Provider has written policy relating to the maintenance and security of confidential information which complies with MH/IDD/EI policy and contains HIPAA compliance regulations 29 Provider has a policy pertaining to unusual incidents/ODP/OCDEL Incident Management that complies with MH/IDD/EI policy 31 Non-Discrimination Clause/Sexual Harassment Policy is in place that is communicated to staff and complies with MH/IDD/EI contract 32 Provider complies with Americans with Disabilities Act 33 Provider complies with Drug Free Workplace Act and in doing so provides a drug free workplace Provider has the following procedure statements in place: 1. Termination/Discharge 2. Exclusion/Disbarments 3. Safety 4. Emergency Disaster Preparedness 5. Agency Disciplinary Policy