Action | Inpatient and Outpatient Rehabilitation Update |
Stage | Fast-Track |
Comment Period | Ended on 12/16/2015 |
In reference , to home health agencies the
the proposed text of regulations does not reference any of the following 12-VAC30-60-70
12VAC30-60-300
Any {onsite} visit supposedly will not be eligible for payment
12VAC30-60-70
As a covered service lists nursing services and home health aides
Payment meaning reimbursement
A visit is defined as the duration of a time a nurse, home health aide, or rehabilatitive therapist is with a client
Visits aren't measured in increments of time
Would the proposed text not allow registred nurses or home health aides the ability to be paided by DMAS or its acting third party?
Registered nurses or home health aids are not qualified physical therapy assistants to my kn9owledge
As well as this text of 12VAC30-50-200 see below:
"When physical therapy services are provided by a qualified physical therapy assistant, such services shall be provided under the supervision of a qualified physical therapist who makes an onsite supervisory visit at least once every 30 days and documents the findings of the visit in the medical record. The supervisory visit shall not be reimbursable."
The thirty day time standard is defined by who9m and what authority?
Which leads me to this question...
Is home health services not consider a "Inpatient and Outpatient Rehabilitation operation"?
12VAC30-60-300
Lists nursing facility criteria
would any this fall under 12VAC30-50-200?