Category Archives: CCO

Deadline Extension for Submission of Comments on CCO Draft Application

PLEASE NOTE – The deadline for submission of comments on the Care Coordination Organization’s (CCO) Draft Application has been extended through Friday, August 11, 2017.  Details of this submission are included on the below email from Acting Commissioner Delaney which was originally sent on June 30, 2017.

 

Dear Friends and Colleagues:

New York State can take pride in its transformation of services for individuals with intellectual and developmental disabilities.  By building and supporting a community-based system of care over the past 40 years, New York is a great example of what a State can do in partnership with providers, families, advocates and communities.  Through this partnership, the Office for People With Developmental Disabilities (OPWDD) has been able to offer a wide range of residential and day supports.

However, as I travelled the State meeting with individuals, families and providers to assist in developing the recommendations of the Transformation Panel, it became clear that our system must evolve to meet the changing demands of today.  Individuals and families want more flexibility and participation in program design and services and there is growing recognition of the need to offer a more seamless transition of school age children into the adult service system.  In addition, as those we serve age, we must address their emerging needs. These challenges demand a more robust, integrated model of care; a model that not only includes the existing OPWDD services but brings together medical, behavioral health services and medication management in a single coordinated plan.  Our system needs a model of care that offers more flexibility in how services are designed and delivered and rewards providers for achieving good outcomes for you and your family members.

I am very pleased to tell you about the next major step in the evolution of the OPWDD system to meet this need.  We are prepared to begin a five-year effort that will start a new era of opportunity for people with intellectual and developmental disabilities.  This new initiative, called People First Care Coordination, will enhance and expand service coordination for people currently supported by a Medicaid Service Coordinator (MSC) in preparation for our system’s move to fully integrated services in managed care.

People First Care Coordination will add the coordination of people’s health and wellness services to their current developmental disabilities Individualized Service Plan (ISP), which will be known as a Life Plan.  Individuals currently enrolled in OPWDD services can have those services, plus those they receive from their dentists, physicians, behavioral health professionals and others, expertly combined into a single, integrated Life Plan which is overseen and monitored by their care manager.

The foundation of People First Care Coordination is Care Coordination Organizations (CCOs), authorized as Health Homes, which will be networks of existing OPWDD providers that will come together to provide integrated care coordination and work to transition MSCs into care manager roles.  CCOs will offer a professional Care Manager and a specialized care coordination team to work directly with each individual served and his or her family to address all of his or her needs.  The team and various service providers will be able to electronically share information and discuss an individual’s overall wellness and progress toward stated goals.  CCOs and providers will report to OPWDD on the outcomes they are helping individuals achieve.

People First Care Coordination is not managed care, but over the next few years, CCOs will become or begin working with managed care organizations to further our system’s move to managed care.  CCOs consisting of OPWDD providers will always be at the forefront in coordinating OPWDD services and supports.

In the coming weeks and months, we will be in further contact with you to explain People First Care Coordination, outline its timeline and respond to any of your questions.  I would encourage you to read and submit comments related to the draft Application for entities who may be interested in becoming CCO’s.  You can find a link to the Application on our website athttps://opwdd.ny.gov/opwdd_services_supports/care_coordination_organizations .

Thank you for your continued partnership as we transform our system of supports and services to enrich the lives of New Yorkers with developmental disabilities – today, tomorrow and well into the future.

Sincerely,

Kerry A. Delaney

Acting Commissioner

 

UPDATE People First Care Coordination Webinar for Individuals and Families

Last week, Acting Commissioner Delaney announced the availability of an online presentation on People First Care Coordination for individuals and families who receive services through the Office for People With Disabilities’ (OPWDD) service system. The presentation will describe plans for the move to enhanced care coordination, as well as provide the reasons for this shift and a timeline of anticipated next steps.

If you would like to attend this online presentation, please note that the online portion of the event which is viewable from your computer, is now full.  However, you can still connect with just a telephone and listen to the presentation by following the instructions below:

Date:  Monday, August 7

Time:   1:00pm – 2:00pm

To listen to the presentation by phone:

Call 1-844-633-8697

When asked for your Access Code or Meeting Number enter 647572988#

If you are unable to listen to the event at that time, it will be recorded and posted at this link  for viewing at any time.

In the meantime, if you would like more information, please visit the People First Care Coordination section of the OPWDD website and feel free to submit any feedback you have about People First Care Coordination to care.coordination@opwdd.ny.gov.

 

CCO/HH – Memorandum of Concern by SWAN-NY

SWAN of New York State

Comments from the State-Wide Advocacy Network of New York State, a coalition of independent family groups focused on services for individuals with Intellectual and Developmental Disabilities.
DDAWNY Family Committee       ENYDDA                 GROW           NYC FAIR

CCO/HHs – MEMORANDUM OF CONCERN

Executive Summary

As parents, we are attracted by the vision of an integrated network that improves and coordinates the services that our children receive. We would like this network to be effective and responsive, and it is in this spirit that we lay out our concerns about the ambitious agenda for the creation of care management for the IDD population as set forth in the draft RFA. Our hope is to help New York State create and maintain a person-centered system that helps all individuals with IDD live better lives. We understand that for the system to survive in a world of competing budget priorities, it must be able to point to the data-driven evidence of those better lives. Our belief is that to be successful, the system must have these characteristics:

  • A fundamental focus on appropriate use of services and supports which result in personalized goals, in contrast to medical model focus on reductions in avoidable use.
  • Outcome measurements and Value Based Payments based on that fundamental focus, which therefore
    • recognize the wide range of support needs.
    • do not penalize individuals with high acuity and their service providers.
    • reward CCOs and MCOs for maximizing quality of life, rather than rewarding them for minimizing the overall cost.
  • Ongoing structured family involvement in every step of the governance process, from creation of outcome measurements to policy definition, and all the way through to operational oversight.

Concerns: Family Involvement in CCO/HH’s

We hope you share our belief that parent participation will help the transformation process achieve the best possible results. To begin with, the core principal of Comprehensive Care Management is to coordinate services by assembling an interdisciplinary team to develop an individualized plan of care. Other disciplines recognize family advocacy as part of that team. We encourage OWPDD and DOH to examine how a family advocacy role can be developed for the CCO/HH.

We would like to see a role for family advocacy in the governance of the CCOs and MCOs. We recommend a strong ombudsman role and an appeals panel of family advocates.

Concerns: Measures for Value Based Payments (VBP)

The suggested outcome measures do not sufficiently take into account the wide range of support needs. While we want to support and celebrate those individuals who are capable of independent living and competitive employment, we are deeply concerned about the possibility of neglecting the higher acuity portion of the IDD population. Measurements are based on CQL/POMs, or use an increase in the number of individuals employed, the number who have moved into self-direction or more integrated settings outcomes that do not recognize acuity. The recommendations of the DD Subcommittee of the Clinical Advisory Group recognized the limitations of these measures. Applying this paradigm across the wide spectrum of individuals that comprise the I/DD population is not only inappropriate, it encourages service providers to limit the number of higher need individuals that they serve.

Earlier this year SWAN met with Director Helgerson to introduce ourselves and to share our concerns about the system transition to managed care. At that meeting we discussed the need for the development of better outcome measures. We propose that DOH and OPWDD form a work group with SWAN to create a process for working with families to develop these measures. We think a combination of surveys and workshops could be conducted around the state to identify a more comprehensive way to measure the outcomes for our loved ones. This same effort will also serve to educate families about the system transformation.

Concerns: Healthcare Bias in the RFA

The RFA reflects a healthcare bias, the medical model emphasis on preventing avoidable utilization. We recognize the importance of coordination between healthcare services and long term services and supports, and support the goals of reducing hospitalizations, promoting wellness, communication between providers, etc. However, for individuals with IDD that is just the starting point. The big challenge in IDD is the Long Term Services and Supports (LTSS). It is not clear from this RFA how non-medical LTSS will be affected by CCO’s.

As the creation of the CCO/HH’s is intended to be the first step to transitioning I/DD services into Managed Care, we are concerned there will be an effort to reduce rates for all types of services. For example, the current difficulties CDPAS individuals have with maintaining staff are due to Managed Care imposed rate reductions. Individuals using Self Direction with employer authority may be especially affected, but the impact of rate reductions would be felt everywhere.

Concerns: CCO Requirements

As outlined the MSC workforce will require extensive training as a pre-requisite for the job of Care Manager and it is not clear if there is the time or the resources to make that happen. The qualifications of new Care Managers defines a workforce that is not only has more training, but is a much more costly workforce.

Similarly, the IT requirements are considerable. The RFA mentions start-up grants, but there is no mention of how large they will be. We are concerned about whether these IT expectations are truly achievable.

Message from OPWDD and DOH Regarding the 1115 Waiver Draft Application

Dear Friends and Colleagues,

As you may know, over the past several years the New York State Office for People With Developmental Disabilities (OPWDD) has worked to offer New Yorkers with developmental disabilities and their families more control, flexibility and opportunities for innovative support customized to their abilities and needs.

This year, OPWDD developed a multi-year housing strategy to ensure that individuals seeking residential supports, including those living at home with family, will have supports available to meet their needs. We have helped more people self-direct their supports, leading to thousands more individuals with developmental disabilities taking greater control of their services. And, we have worked to help New Yorkers with developmental disabilities to find employment, in conjunction with the Governor’s Employment First Commission.

While these actions have led to great progress in OPWDD’s system, there is still much we would like to do to increase flexibility and choice. Individuals, families and service providers agree that individualized services and not one-size-fits-all solutions are the way to the future. While we have increased person-centeredness, taking the next step requires new approaches to transform.

An important step in this transformation is People First Care Coordination, an initiative of OPWDD and the Department of Health, to offer care coordination that integrates healthcare and community services—in addition to OPWDD-funded long-term support services—in a single life plan for each person served. While not impacting the intellectual and developmental disabilities (I/DD) supports a person receives, People First Care Coordination offers new opportunities for person-centered planning and integrated supports for people with complex needs.

To support this initiative, OPWDD is seeking a change to the authority under which Home and Community Based Services are delivered. This change will be effective January 1, 2018 pending approval from the federal government.

This transition is necessary for moving into the next phase of OPWDD’s transformation, allowing for the implementation of Care Coordination Organizations, operating under the federal Health Homes program in a conflict-free environment, and establishing a pathway to managed care.

New York State’s highest priority is to ensure that individuals and families will have continuity of care and existing plans of care will remain in place as this transition occurs. New York State’s draft application for this change, and instructions for submitting comments, can be found at this link:

http://health.ny.gov/health_care/medicaid/program/medicaid_health_homes/idd/draft_idd_1115_waiver.htm

Comments will be accepted until August 21, 2017. OPWDD will be scheduling a stakeholder briefing to review the application in detail and more information regarding date and time will be available shortly.

Sincerely,

 

Jason A. Helgerson                            Kerry A. Delaney

Medicaid Director                               Acting Commissioner

New York State Department              New York State Office for People

Of Health                                            With Developmental Disabilities