Action | Initial regulations for registration of Qualified Mental Health Professionals |
Stage | Emergency/NOIRA |
Comment Period | Ended on 2/7/2018 |
26 comments
Thank you for you consideration of these concerns.
I would like to suggest that QMHP-C could work with certain individuals past age 17. Specific examples would include 18-21 year olds who are involved with foster care through the independent living program, or individuals who are over 18 who are still enrolled in high school. This would allow youth services staff to maintain their QMHP-C status without having to also be registered as a QMHP-A just in order to work with one or two individuals who are 18 years old and still in the school system. If staff work with adults on a regular basis I think it would be sensible to be registered as QMHP-C and QMHP-A, but I think it is burdensome for youth staff who would be working with 18 year olds and the occasional 19 year old.
Suggestions for ideas on the regulations for this would possibly be.
QMHP-C staff may work with individuals through the age of 21 years old.
or
QMHP-c staff my work with individuals who are still enrolled in school.
Thank you for your consideration of this topic.
My concern is in regards to our hiring process within our company and approved degrees. We hire based upon referrals and typically we see approximately 2 to 3 referrals within a two weeks span and as this continues to grow, those individuals we are able to interview based upon qualifications have to be registered with the board. Though I understand this, my worry is the time period that it takes for those applicants to be approved, and how quickly we can get those applicants trained efficiently in order to serve our population affectively. I do feel that Sociology should be on the list of approved degrees as this has been in the past and I'm unclear as to why this does not now apply in this case.
I do wish to appreciate the efforts to ensue fraudulent activity is ceased by stripping one of their registration immediately and placing a high reinstatement fee and/or declining to reinstate. One who commits fraud or places harm/takes advantage of those within our services, should not be allowed to practice within the State of VA.
I agree that the registration and supervision of qualified mental health professionals is beneficial for the individuals receiving mental health services. Providing registration online is especially helpful for those registering as a QMHP. It may be somewhat discouraging for those who work with both adults and children to have to register as both a QMHP-A and QMHP-C and pay the full fee for both of these credentials. It would be helpful to have a reduced fee if registering as both a QMHP-A and QMHP-C in order to have an incentive those with the most experience and knowledge in a wide range of ages. Another consideration for those working in the school system as therapeutic day treatment counselors would be to extend the ages for QMHP-C providers until age 21, as some young adults are still enrolled in public school and receiving mental health services from QMHPs. Additionally as a LMHP, it would helpful for my supervision of QMHPs to have clear guidelines and guidance documents related to registration, supervision, and reporting any disciplinary action.Consid
Although I understand and support the efforts to ensure a standard for professionals in the field of behavioral services the concern that I have is that bureaucracy and paperwork lengthens the amount of time for new hires and may be a hindrance to providing consumers with service in an effective and timely manner. Especially in crisis stabilization services where the emphasis is to reach out as soon as possible to clients who are at risk for hospitalization, homelessness or sucidiality/homicidality. If the process is held to a two week turn around that would be very beneficial, if it proves to be lengthier this could be a hindrance.
In addition, the area of the state where our agency operates has a limited amount of LMHPS. This presents a problem with requiring that supervision of the daily implementation of individualized service plans fall on LMHPS or LMHP-E individuals. This again may prove to be inefficient in serving the behavioral health population in our rural locality.
Scott Philbrook, Clinical Coordinater/Crisis Team Leader
While I understand the reasoning behind registration of QMHP staff for adults and/or children, the way the regulation is currently being presented poses many problems to those of us actually working in the mental health field.
QMHP-C only goes to age 17, many students with behavioral issues continue through the community-based “child services” through age 21.This means a youth who has had a staff person working with them potentially for all of their life, might have to get transferred to a QMHP-A solely because they turn 18.This will disrupt treatment, especially in school settings.
I request that some consideration be granted that a QMHP be ONE definition where staff can move between children and adult community-based services given experience with both children and adults.
The hiring of staff as of January 1, 2018 is already being negatively affected by the way the regulations are reading.Because applicants after January 1, 2018 have not been given the opportunity to be grandfathered in, we are trying to follow the posed regulations for positions that require QMHP staff.Since Sociology has been removed from the list of accepted Human Services Field degrees, our applicant pools have decreased as this has historically been a widely known and accepted degree to work in the human services field.In addition, staff have gained experience with children AND adolescents and having to differentiate between the two could cause someone’s experience to keep them from being eligible under the new regulations.
Can it be clarified that a degree in sociology is still considered a human services field.
I need clarification as to who can directly supervise registered QMHP-A’s and C’s.In the southern part of the state, we are significantly lacking in licensed staff and even staff who are eligible to be licensed.If the requirement is to require a QMHP to be directly supervised by a licensed type, organizations in the southern part of the state will have to cease services until we can hire more licensed type staff.
Can it be clarified that a QMHP-A or C can be directly supervised by another QMHP-A or C as long as there is overall oversight by a licensed-type staff person in the chain of command?
Consider the situation where someone desires to maintain their QMHP-A or C, but their position does not require it, but want to have the opportunity for upward advancement.If their supervisor is required to have this credential, it could pose a problem for retaining staff.
I am one of those folks who has experience working with children and adults; I am in a position where I am not actively providing services though.I would like to retain my QMHP-A AND QMHP-C status as I continue my education to be licensed.However, this regulation would require me (and MANY others across the state) to register as both, with two fees just to keep our opportunities open in the wide field of mental health services that overlap between children and adults.
Again, can it be considered that the QMHP fee allow for someone to maintain both a QMHP-A and C status?
Thank you in advance for your consideration in updating the regulations to better meet the needs of all folks receiving mental health services in Virginia.
Sociology used to be an approved degree and I believe that sociology should still be an approved degree. Sociology is as related to this field (if not more so) than other degrees that were included on the list of approved degrees. Eliminating sociology as a approved degree substantially limits the pool of qualified available candidates for this credential.
The registration and supervision of qualified mental health professionals is certainly beneficial for the individuals receiving behavioral healthcare services. However, it is a discouragement for those who work with both adults and children to have to register as both a QMHP-A and QMHP-C and pay the full fee for each of these credentials. It would be helpful to have a reduced fee if registering as both a QMHP-A and QMHP-C. This would serve as an incentive those with the most experience and knowledge in a wide range of ages. As an alternative, consider extending the age range of QMHP-Cs to serve individuals up to 21 years of age.
I share the concerns that others have expressed about the delay we will experience in hiring providers. this is bacuase applicants will need to be registered as QMHPs before we hire them in order that we can bill for their services. Also; I would express concern about the expectation that Licensed or Licensed-Type individuals must supervise the day-to-day operations of services provided by QMHPs. Licensed individuals are scarce, especially since CCC Plus has been implemented and MCOs have recruited many of our licensed staff. In addition, many of the programs that are employing QMHPs are viewed as ‘non-clinical’ by both DMAS and the MCOs, but CCC Plus is requirning LMHP or LMHP-Types to sign all authorizations for CMHRS services..
I would like to echo concerns regarding the 8 hours of continuing education being narrowly defined regarding who can provide the training. Many of the organizations providing behavioral health services in the communities in Virginia already have extensive continuing education requirements under the DBHDS Licensure regulations. I believe that these organizations should be allowed to provide the required continuing education to their staff in accordance with their annual compliance with DBHDS Licensure regulations. I would also request that the regulations clarify the nature and extent of supervision that LMHPs and LMHP-Types must provide to registered QMHP-A’s and C’s. Must the LMHP, or LMHP-Type, be the direct supervisor of the QMHP?
Thank you in advance for your consideration of these comments when updating these regulations to better meet the needs of all individuals receiving behavioral healthcare services in Virginia.
Concerns with QMHP A/C Registration:
I think the Registration is a great idea. However, I do ask that consideration be given to current DMAS/ DBHDS Regulations, which at this point make every attempt to mirror one another. In the Regulations as it relates to QMHP-C/ A, if one has the credential of QMHP-C, then they are deemed appropriate to provide QMHP-A services to adult indivduals, as current QMHP-A requires that there is mental health experience provided to "Individuals”....which would include children. I think that asking providers to pay for 2 Registrations is asking a bit much. I feel that a QMHP credential overall should be considered.
In order to address the issue of the need to pay for 2 Registrations, I would suggest possibly having a registration for QMHP-C…. with Adult experience Endorsement (if applicable). And, if the mental health experience has been with adults only, then that person could register as QMHP-A.
1. Sociology should continue to be an approved degree . Sociology is very much related to the field . Removing Sociology from the approved list of degrees has reduced our pool of possible applicants for QMHP positions, positions that are already difficult to fill.
2. The BOC description of the QMHP role and scope of practice / types of services on the recent FAQs do not match the DMAS regulations- so which description/regulation will agencies follow? It would be most helpful if the BOC ; DMAS and DBHDS regulations and expectations were in sync.
3. Clarification of the Supervision component of the regulations is needed:
4. QMHP- Trainees registration
5. The requirement for QMHP Credential or QMHP-Trainee registration before a provider can bill for services using the employee( that require this level of credential) puts a great financial burden on Providers . It essentially means that we will have staff on board for whom we cannot use to provide a service until we receive confirmation from the BOC. Even if the BOC can meet their intended 30 day turn around period , it is still a great burden. This can potentially and very likely reduce our ability to serve individuals already in service and/or take on new clients in need of the service when a position is vacated. This is particularly a concern for services working with high risk individuals such as a residential Crisis Stabilization Program.
6. Requiring separate Credentials for Adults vs Children/Adolescents sounds good until you get into the details of how services are provided. The ages of 18 thru 21 are somewhat blurry when it comes to whether these individuals are considered Adolescents or Adults. DMAS considers them Adolescents, Our agency, in most cases, view an 18 to 21 year old as adolescents only if they are still in the educational system, and receive services through our Children’s Programs. So, would a QMHP-C credential be sufficient for a staff person providing a service to an 18 – 21 year old who is in school and is receiving an agency defined child level service?....Or would this person require both the QMHP –A and QMHP –C credential.
7. I would like to echo concerns regarding the 8 hours of continuing education being too narrowly defined regarding who can provide the training as mentioned in other comments submitted.
Any and every mental health professional who meets the education, experience, and training requirements should be eligible to register and KEEP the QMHP title.
Furthermore, the mandate in the reg that every person who seeks services of a QMHP would need a formal "service plan" is problematic. An organization's clinical supervisors can make those decisions based on the population and particular cases served.
Lastly, clinical supervisors should decide the QMHP's services and roles within an organization and its structure, based on professional standards of practice, agency policies, existing laws and regs, and the QMHP's individual skills, experience, and training.
I agree with previous comments posted that the limitations of the QMHP certification should be expanded. At a time when mental health beds are at an all time low and a significant proportion of mentally ill individuals end up in the justice system, we should not be creating an artificial bottleneck concerning access to treatment providers as well. Therefore I concur with the following recommendations:
There should not be two QMHP credentials.
Any and every mental health professional who meets the education, experience, and training requirements should be eligible to register and KEEP the QMHP title.
Furthermore, the mandate in the reg that every person who seeks services of a QMHP would need a formal "service plan" is problematic. An organization's clinical supervisors can make those decisions based on the population and particular cases served.
Lastly, clinical supervisors should decide the QMHP's services and roles within an organization and its structure, based on professional standards of practice, agency policies, existing laws and regs, and the QMHP's individual skills, experience, and training.
Thank you for the opportunity to comment on this proposed regulation. I would like to submit the following for consideration:
It appears that the BOC description of the QMHP role and scope of practice/types of services on the recent FAQs do not match the DMAS regulations. Please refer to current DMAS regulations and insure that the regulations are lined up so as to avoid confusion. Likewise with DBHDS requirements.
I am very concerned about the requirement that QMHPs be registered before they can bill. This places undue hardship on agencies and may result in loss of applicants and/or lost billing in a time when most agencies cannot sustain either loss. Many agencies are already feeling a negative impact. With the rate of turnover experienced by many agencies, a requirement like this could also have a serious negative impact for persons served, such as in residential and crisis stabilization programs, etc.
Sociology should remain an approved degree. It is a relevant degree for the field and has been so for many years. Individuals interested in entering the field have planned college educations around this. To remove it reduces our pool of applicants.
The registration and supervision of qualified mental health professionals can be beneficial to the individuals served. However, please consider having a reduced joint fee for individuals registering for both QMHP-A and QMHP-C. Also, please consider that QMHPs will now be asked to pay for registration and ongoing renewal fees and possibly continuing education costs - without increased salary as reimbursement rates for these positions don’t seem to be addressed with added requirements, as well as no increase for related administrative costs to agencies.
Please consider extending the age range of QMHP-C to serve individuals up to age 21 years of age. Many children with behavioral issues continue through the community-based “child services” through age 21. Requiring them to change providers at age 18 interrupts continuity of care and may disrupt treatment. Please also consider language that would allow clinical judgment to guide the transition of care between “child” and “adult” and to allow for variances in the best interest of the persons served.
I share concerns that there is an expectation that licensed or licensed-eligible individuals must supervise the day-to-day operations of services provided by QMHPs. Licensed individuals are scarce in many parts of the state, especially since CCC Plus has been implemented and MCOs have recruited many of our licensed staff. While I understand the intent is to insure that individuals receive services from qualified staff, it is equally critical to have licensed staff provide direct services to individuals who need them most. As we see more and more administrative and supervision requirements for our agencies, without added funding support, the strain on the system takes a toll on agencies, staff, and the people we serve. Please take this into serious consideration when regulations are passed.
I would request that regulations clarify the nature and extent of supervision that LMHPs and LMHP-types must provide to registered QMHPs. Must the LMHP be the direct supervisor? Can group supervision be used to meet this requirement? How many QMHPs can someone supervise? Does the supervisor have to be registered as QMHP, as an approved supervisor? Are all registered QMHPs required by to be supervised by an LMHP, LMHP-type or is this just for QMHP Trainees? What supervision documentation is required?
I would echo concerns regarding the 8 hours of continuing education being narrowly defined regarding who can provide the training. Please consider making requirements line up with current DBHDS requirements and expectations.
Can licensed individuals provide services that require QMHP registration? Does having a license (LPC, LCSW, RN, LPN) negate the need to register as a QMHP?
Please take into consideration options for those registered as QMHP-A or QMHP-C to be able to work across these boundaries in order to learn new skills and expand their ability to provide services in our system of care. Locking registration down in silos can only serve to limit the options of both staff and agencies to meet the dire needs of our communities. As someone who has worked with both adults and children, I believe there is great value to be added to our services by creating more opportunities for staff to cross train and expand their abilities and value taken away by reducing these opportunities.
Will staff who were grandfathered in as QMHP be able to take their newly-registered status with them if they leave the home agency? If so, this could result in a loss of staff for some agencies. If not, then these individuals will be required to register with the state, complete all continuing education, and yet remained locked into a current job or agency without potential for much advancement. This seems unfair to hard working professionals. Also, can QMHP registered staff move into non-QMHP positions and maintain their registration should they wish to move back into a QMHP position in the future?
Should QMHP-Es begin to register now as either QMHP-A or QMHP-C or to seek to be prepared to move into either?
Thank you in advance for your consideration of these comments when updating these regulations to better meet the needs of all individuals receiving behavioral healthcare services in Virginia.
Thank you for the opportunity to comment. The online option for registrations was a very good idea, and I believe it will be the most efficient avenue to navigate this process. I would like to offer the following concerns/suggestions with other elements of this proposed regulation change:
Allow the QMHP-C to provide services to individuals past age 17, and change it to age 21 (beneficial for those serving individuals in independent living programs, school-based services, etc. where services should continue seamlessly for our individuals).
Sociology should remain as an approved degree- it is relevant to our work, and would significantly impact the applicant pool if removed.
I share concerns already given regarding the licensed supervisor’s expectations: please clarify the extent of this requirement. Will group supervision be accepted? Will the 1:1 requirement remain between licensed supervisor and QMHP Trainee?
Please consider aligning the 8 hours of continuing education with current DBHDS expectations.
Please consider lowering the cost for individuals who are dual registering as both a QMHP-C and QMHP-A- this would promote cross-training of staff, and maximize the services available for our communities.
Thank you for your time and consideration.
I agree with previous comments posted that the limitations of the QMHP certification should be expanded. At a time when mental health beds are at an all time low and a significant proportion of mentally ill individuals end up in the justice system, we should not be creating an artificial bottleneck concerning access to treatment providers as well. Therefore I concur with the following recommendations:
There should not be two QMHP credentials.
Any and every mental health professional who meets the education, experience, and training requirements should be eligible to register and KEEP the QMHP title.
Furthermore, the mandate in the reg that every person who seeks services of a QMHP would need a formal "service plan" is problematic. An organization's clinical supervisors can make those decisions based on the population and particular cases served.
Lastly, clinical supervisors should decide the QMHP's services and roles within an organization and its structure, based on professional standards of practice, agency policies, existing laws and regs, and the QMHP's individual skills, experience, and training.
Town Hall Comments for Regulations Governing the Registration of Qualified Mental Health Professionals [18 VAC 115-80]
As a current QMHP-C and QMHP-A with a sociology degree, these changes in regulations and degree criteria are especially concerning. While I may be an exception moving forward via grandfathering-in, my fellow sociology majors may lose their opportunity to proceed with further career growth or movement. Sociology is a degree based on humans and our society. This means that college graduates coming out of school with this degree have spent the last 2-8 years studying humans, their behaviors, and how they engage with one another, which is a mental health professional at its best. Limiting criteria for QMHPs will not only have a negative impact on mental health agencies and their ability to hire very competent and prepared candidates, but it will also expand its impact to college and university program progression nationwide. Minimizing educational program growth and stability will lead to federal funding issues in the future and could lead to a major setback to the decades of progress that the sociology community has worked towards throughout its lifetime.
The Virginia Network of Private Providers does support the concept of registration for QMHP for the reasons that the original proposal was made, but offers the following comments on the Emergency Regulations:
1) There should either be an opportunity for registration as a QMHP C/A for an indivudual trained and able to work with both children and adults, or the secondary registration (for either QMHP-C or A) for an individual already registered should be at a significantly reduced rate.
2) CEU requirements for someone with dual registration should not exceed 8 hours.
3) QMHP-C should be qualified to work with any individual up to age 22 who is still in school, or foster care through the independent living program.
We share concerns expressed about the regulations becoming an impediment to building and maintaining an adequate, competent and professional workforce, but are willing to work with the Board of Counseling to manage the process as efficiently as possible.
I fully support the registration of QMHP's in Virginia, as a means of better verifying experience and education among professionals in our field. I have the following comments regarding the process and the emergency regulations pertaining to the process:
In a recent QMHP Application, we noted the following on the application form: “due to the volume of applications, the processing time can take up to 60 business days.” This is equivalent to 3 months, not the 30 days we were informed it would take when the regulations first came out. This is both a hardship for agencies as well as our consumers. For the agency, this is huge financial burden. For consumers, it may mean the agency does not have the capacity to service all those in need or may need to provide level of service needed. For crisis services such as a residential Crisis stabilization program, It becomes a safety risk when an agency cannot fill positon vacancies quickly. There needs to be some type of interim status during the application process in which the applicant can provide services until the BOC has been able to determine the applicants level of credential.
The other concern I have is the Verification of Supervised Experience form that must be signed by the Supervisor under which the experience occurred. This is a state wide new requirement. I wonder how well institutions of higher education have been informed/educated of these new regulations so that students are well informed when they choose a practicum. They should know to provide the Practicum Supervisor the Verification form at the start of their practicum to have accurate information at the finish of the practicum and the Licensed/Licensed-Type signature.
Also I am very concerned that QMHP Applicants may not be able to obtain the required information and signature form previous employees for any number of reasons and obtain it in a timely manner, once again adding to the financial hardship to employers.
Thank you for the opportunity to comment.
I share the concerns expressed by others in terms of the LMHP/Type individual’s expectations to supervise the day-to-day operations of services provided by QMHPs and QMHP-Trainees. Please clarify the nature and extent of these supervision requirements. Does the LMHP/Type have to be present with the QMHP and/or QMHP-Trainee when the QMHP and/or QMHP-Trainee is providing a service either at a program location or in the community? Can group supervision suffice? In addition, what are the Supervision documentation requirements?
I would like to echo the recommendation to expand the narrow definition of approved organizations, associations, or institutions to provide the annual 8 hours of continued competency training. The BOC FAQs state, “The Board staff cannot pre-approve any CE courses. Each registrant shall use their best and professional judgment to determine if the course meets the requirements outlined in the regulations.” This leaves only federal, state, or local government agencies, public schools, or licensed health facilities as the providers of this training.
Sociology should remain as an approved degree qualified for this credential. As expressed by multiple commenters, removing this degree substantially impacts the qualified applicant pool and those who have filled the roles as QMHPs.
The requirement for documentation of supervised experience by an LMHP/Type for services historically supervised by QMHPs (ie: Mental Health Skill Building and Psychosocial Rehabilitation Services) will significantly limit eligible applicants who are in the process, but have not yet completed, the required experience hours. Will there be any allocation to accept these supervised hours?
Thank you in advance for your consideration of these comments when updating these regulations to better meet the needs of all individuals receiving behavioral healthcare services in Virginia.
Concern that it would be possible for an individual to make application to be credentialed as a QMHP and following several months of work, learn that they are not approved. This may be especially true during the initial start-up of this process when individuals and agencies are less familiar with the requirements. That could mean that an individual would lose a job after several months, conceivably through no fault of their own, particularly related to the education requirement. We may think, and they may think, that their degree will be accepted but learn that it is not. Would it be possible to provide an initial approval/rejection of the education requirement so that we have some confidence that the individual will be at least approved as a trainee, or conversely know right away that they will not qualify based on education. The list of allowable degrees may seem straightforward but we find that there are many variations of degrees out there.
In addition, the requirement for an original transcript will further narrow who we can hire as there will be individuals who graduated a long time ago or from an institution that is no longer in existence who will not be able to be hired.
The VACBP would like to confirm the following:
1) That the status of QMHP registration and reimbursement for services is that in addition to grandfathering all QMHPs who were employed during 2017, a person hired during 2018 may work and be reimbursed as long as the employer has verified and has appropriate documentation that the person is eligible to be a QMHP (QMHP-E under DBHDS regulations or QMHP-Trainee in the BOC application) and they are complying with the BOC supervision and training regulations. A person who desires to be a QMHP should apply to be registered in 2018, but they may work and their work may be reimbursed for 2018 without being registered. 2) That a QMHP-C may work as a QMHP-A while under the supervision of an LMHP or licensed eligible person to gain required supervision for accumulation of hours towards their QMHP-A status. Under the DMAS CMHRM QMHP-Cs are included under adult services, but QMHP-As are not included in children specific services, i.e. Intensive In-Home and Therapeutic Day Treatment. 3) That as licensed health facilities all providers of behavioral health services may provide the required 8 hours of CE training.
The VACBP strongly urges that the Sociology and Criminal Justice degrees be included on the list of degrees eligible for registration as a QMHP. There is a significant shortage of QMHPs and the VACBP believes these degrees are appropriate.
The VACBP also supports a change allowing the BOC to recognize a QMHP-E.
With the recent opportunity to review the Board of Counseling (BOC) applications and additional documentation that must be submitted for QMHP-A and QMHP-C registration, additional concerns are noted. These requirements will make registration more difficult, places a financial burden on providers and will reduce service capacity for individuals in Virginia. Listed below are four noted concerns and proposed solutions to each issue.
Proposed Solution: The attestation form should be changed to attest that the person was employed with the agency as of December 31, 2017 and meets the criteria to be a QMHP-A/QMHP-C as defined at that time.
Proposed Solution: An attestation form, should replace the verification form. The attestation form should be completed and signed by the person registering for QMHP-A/QMHP-C credentials and require the following:
Proposed Solution: Establish and recognize a preliminary or provisional QMHP-C/QMHP-A status while the paperwork is being reviewed by BOC.
Proposed Solution: Utilize a computer system that allows for the uploading and attachment of documents.