Virginia Regulatory Town Hall
Agency
Department of Medical Assistance Services
 
Board
Board of Medical Assistance Services
 
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1/3/25  2:55 pm
Commenter: BRBH - CQI

CPST Comments
 

1. Medical Necessity Criteria Development

  • As medical necessity criteria remain “not yet developed,” we urge the state to expedite this process. Clear and transparent medical necessity criteria are vital to:
    • Prevent inconsistent service authorization and delivery.
    • Provide clarity for providers regarding eligibility thresholds for Level 1 and Level 2 services.

2. Staffing and Supervision Standards

  • While LMHP oversight is appropriate, we recommend further clarity and specific limits for staffing and supervision to ensure quality care:
    • Supervisor-to-Staff Ratios: Establish clear ratios for LMHPs overseeing unlicensed practitioners (e.g., QMHPs, QMHP-Trainees).
    • Caseload Limits: Define caseload maximums for licensed and unlicensed staff to prevent staff burnout and safeguard quality.
    • Supervision Requirements: Specify required hours of clinical supervision for QMHP-Trainees and CSACs on a monthly basis.

3. Accreditation Timeline

  • While accreditation ensures high standards, the proposed 24-month timeline may present challenges.
  • Recommendation: Extend the timeline to 36 months with interim milestones to allow agencies to prepare adequately while continuing service delivery.

 

4. Documentation and Quality Metrics

  • The draft emphasizes ISP development and monitoring but lacks standardized guidelines for required documentation.
  • Recommendations:
    • Develop ISP requirements and provide examples to create clear documentation guidelines for crisis plans and progress notes.
    • Define specific, measurable quality benchmarks and outcomes to monitor program performance.

5. Training and Workforce Development

  • Required staff trainings (e.g., Trauma-Informed Care, Motivational Interviewing) are critical, but funding and accessibility may be barriers for smaller agencies.
  • Recommendations:
    • Provide state-funded training opportunities or grants for providers to meet the required training mandates.
    • Create a centralized training hub to ensure consistent and equitable access to approved programs.

6. Financial and Operational Sustainability

  • The requirements for accreditation, evidence-based practices, and advanced training introduce significant financial and operational burdens.
  • Recommendations:
    • Adjust the rate structure to reflect the cost of compliance, accreditation, and workforce development.
    • Establish startup funding opportunities or technical assistance grants for smaller agencies.
    • Clarify billing guidelines for concurrent services to minimize reimbursement denials.

7. Implementation of Evidence-Based Practices (EBPs)

  • While embedding EBPs is crucial, smaller agencies may struggle to meet the one-year timeline due to cost and training barriers.
  • Recommendations:
    • Allow a phased implementation approach for EBP integration over 24 months.
    • Provide guidance on selecting EBPs tailored to the populations served
    • Support reliability monitoring and technical assistance to ensure successful adoption of EBPs.

8. Service Delivery for Complex Needs

  • CPST services will often overlap with other specialized services (e.g., for developmental disabilities or substance use).
  • Recommendation: Develop clear coordination protocols for individuals with co-occurring or complex needs to ensure integrated, non-duplicative care.
CommentID: 229109