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Hospital-Issued Notices of Noncoverage (HINNS) and Notice of Discharge and Medicare Appeal Rights (NODMARS)
Commonly Asked Questions
- If a patient/representative refuses a nursing home bed can the hospital issue a Continued Stay HINN/NODMAR?
- If a patient does not meet admission criteria and
the attending physician does not agree with a Preadmission/Admission
HINN/NODMAR, what can the hospital do?
- If a patient is in an observation bed and wants
to be admitted, but criteria are not being met for admission, can the
facility give a Preadmission or Admission HINN/NODMAR?
- Are there any notices to give patients who refuse
to leave after an observation stay that does not require admission to
the hospital?
- Can a HINN/NODMAR be given to a patient who is confused, incompetent, incapable or too sick to understand the notice?
- If a patient is requiring skilled care placement and a skilled bed is not available, can the hospital issue a HINN/NODMAR?
- If the patient has expired or been discharged, can a HINN/NODMAR be issued?
- If a patient has exhausted all available benefit days of Medicare hospitalization, can the hospital issue a HINN/NODMAR?
- If the attending physician does not concur with a Continued Stay HINN/NODMAR, can the hospital issue a HINN/NODMAR?
- If the beneficiary is incapable of transacting
business and the hospital cannot reach the beneficiary's
representative, how can a HINN/NODMAR be given?
- If the attending physician does not agree with a
Preadmission or Admission HINN, will the QIO review the case to see if
a HINN/NODMAR is appropriate?
- How long can the QIO take to review a case before making a decision on concurrence with a Continued Stay HINN/NODMAR?
- How long can the QIO take to do an immediate review of an HINN/NODMAR that a beneficiary has received?
- How long can the QIO take to do a review of a
Continued Stay HINN/NODMAR if the beneficiary/representative does not
ask for review until some point after noon the day following the
receipt of the HINN/NODMAR and the beneficiary remains in the hospital?
1. If a patient/representative refuses a nursing home bed can the hospital issue a Continued Stay HINN/NODMAR?
A) If the patient is not requiring skilled care, it is appropriate
to issue a Continued Stay HINN/NODMAR after discharge indicators have
been met and the patient is unwilling to make discharge arrangements.
Nursing home placement does not have to be available for a patient who
does not require a skilled level of care for a notice to be
appropriate. B) If the patient is requiring skilled care, the
hospital must offer an available skilled bed to the patient that the
patient/representative must refuse before a Continued Stay HINN/NODMAR
is appropriate. The HINN/NODMAR is not appropriate if a skilled bed is
not available at the time the HINN/NODMAR is issued. If the skilled bed
was offered yesterday, you should not issue a notice today unless a
skilled nursing facility (SNF) bed is still available. The notice
should be given only when placement is available and refused for
patients requiring skilled care. C) If a patient/representative
refuses skilled placement for inconvenience reasons, i.e., the SNF is
too far away to visit on a regular basis, this must be considered. The
reason for the inconvenience must be adequate and is decided on an
individual basis. D) Refusal of an available bed due to financial
reasons is a true problem; however, Medicare does not take this into
consideration. Medicare looks only at medical necessity.
2. If a patient does not meet admission criteria and the
attending physician does not agree with a Preadmission/Admission
HINN/NODMAR, what can the hospital do?
The hospital does not need the agreement of the attending physician
or the quality improvement organization (QIO) to issue a Preadmission
or Admission HINN/NODMAR. An Admission HINN/NODMAR may be given at any
time during the stay if the admission has never been approved by the
facility.
3. If a patient is in an observation bed and wants to be
admitted, but criteria are not being met for admission, can the
facility give a Preadmission or Admission HINN/NODMAR?
There should be an order for admission or specified intent to admit
the patient from the attending physician before a HINN is considered.
If there is intent to admit the patient, a Preadmission HINN/NODMAR
should be given before the patient is officially admitted, if not
meeting criteria. A Preadmission HINN/NODMAR will make the patient
immediately liable after admitted. An Admission HINN/NODMAR issued
before 3:00 p.m. the day of admission, makes the patient liable,
effective that day. However, if the Admission HINN/NODMAR is not given
until after 3:00 p.m. the day of admission, the patient will not be
liable until the day following the day the HINN/NODMAR is issued.
4. Are there any notices to give patients who refuse to
leave after an observation stay that does not require admission to the
hospital?
A) If no admission is ordered by the physician, the QIO does not
have any type of notice to be used for observation stays. We suggest
that you contact the fiscal Intermediary (FI) for guidelines on this. B)
If an admission has been ordered or is planned by the physician, and
the patient does not meet criteria for admission, you may give: 1) a
preadmission notice if the patient has not been admitted; or 2) an
admission notice if the patient has been actually admitted to the
hospital.
5. Can a HINN/NODMAR be given to a patient who is confused, incompetent, incapable or too sick to understand the notice?
HINNs/NODMARs should never be given to patients who are not able to
understand what a HINN/NODMAR means and how to ask for an immediate
review if they so desire. This could be a confused patient, incompetent
patient, patient too sick to transact or understand business related
issues, or a patient incapable of transacting or understanding business
for any reason. If any of these circumstances are present, the HINN
should be given to a responsible party acting on behalf of the patient.
This does not mean that the responsible party is liable for the bill,
only that they can take some action for the patient in regard to this
HINN/NODMAR. This responsible party could be a family member, guardian,
or person who has power of attorney, or, a friend. If there is no
responsible party, a HINN/NODMAR may not be issued until one is found
or appointed. Department of Human Resources (DHR) should be asked to
appoint a guardian in cases where no one is the responsible party for
patients unable to make decisions for themselves. If the patient is
court committed and there is no other responsible party, a HINN/NODMAR
may be issued to the court.
6. If a patient is requiring skilled care placement and a skilled bed is not available, can the hospital issue a HINN/NODMAR?
No. The hospital should continue to document that skilled placement
is being sought and where on a regular basis, preferably daily.
Medicare will cover any outlier days where the patient needs skilled
care and it is documented that no placement is available.
7. If the patient has expired or been discharged, can a HINN/NODMAR be issued?
A HINN/NODMAR may never be given to a deceased person. If the
patient has already left the facility, a HINN/NODMAR may not be issued,
as you cannot make a beneficiary/representative liable retrospectively
(prior to the act of issuing the HINN/NODMAR).
8. If a patient has exhausted all available benefit days of Medicare hospitalization, can the hospital issue a HINN/NODMAR?
No. If the patient has no benefit days left, Medicare is no longer
paying. Therefore, it is inappropriate to issue a HINN/NODMAR telling
the patient that Medicare coverage is being discontinued due to lack of
medical necessity for continued stay.
9. If the attending physician does not concur with a Continued Stay HINN/NODMAR, can the hospital issue a HINN/NODMAR?
A) If the hospital UR physician agrees that a HINN should be issued,
the hospital should contact the QIO and ask the QIO to review the case
for issuance of a Continued Stay HINN with QIO concurrence. The QIO
will need to do a continued stay review over the phone or by FAX at
that time. The attending physician's telephone number will be needed.
The hospital must issue The Hospital to Beneficiary Notice of QIO
Review of the Need for Continued Hospitalization (Exhibit 10 of Model
HINN Letters) to the beneficiary/representative before the QIO can
review for concurrence of a Continued Stay HINN. The QIO should be
contacted with review information before 3:00 p.m. when requesting
review of a Continued Stay HINN with QIO Concurrence. B) When the
MA organization allows the hospital to make the noncoverage/discharge
determination (delegation), the hospital must obtain concurrence from
the contracting physician responsible for the enrollee's hospital care
or of another physician as authorized by the MA organization. The QIO
does not review potential NODMARs where the attending does not concur.
10. If the beneficiary is incapable of transacting business
and the hospital cannot reach the beneficiary's representative, how can
a HINN/NODMAR be given?
After all reasonable efforts fail to notify the representative, the hospital may contact the representative by
telephone, followed by written notification, mailed to the
representative on the same day. The hospital must document the
telephone and written notification and retain copies for the QIO
review. For those cases, the date of telephone contact is considered
the date of the receipt of the HINN/NODMAR. When direct telephone
contact cannot be made, the hospital should send the HINN to the
representative by certified mail, return receipt requested. The date
that someone at the address signs or refuses to sign the receipt, is
the date of receipt of the HINN/NODMAR. For a HINN/ NODMAR sent
certified mail, return receipt requested, the receipt is returned to
the hospital with no indication of a refusal date or no receipt is
returned to the hospital, the hospital should determine the
beneficiary's liability starting on the second working day after the
hospital's mailing date (post marked) by the Postal Station.
11. If the attending physician does not agree with a
Preadmission or Admission HINN, will the QIO review the case to see if
a HINN/NODMAR is appropriate?
No. The hospital may issue a Preadmission or Admission HINN without
the concurrence of the attending physician. The QIO does not review
Preadmission or Admission HINNs prior to the hospital issuing them.
12. How long can the QIO take to review a case before making a decision on concurrence with a Continued Stay HINN/NODMAR?
For potential continued stay HINNs, the QIO will try to get the
decision back to the hospital the same day if at all possible. In cases
where the QIO is unable to reach the attending physician it may take
longer. Also if the QIO does not have enough information to make a
decision, the medical record may be requested for review before a
decision is made. The QIO does not review potential NODMARS for QIO
concurrence (see question 8).
13. How long can the QIO take to do an immediate review of an HINN/NODMAR that a beneficiary has received?
A) Preadmission Immediate review is performed when the request is
submitted by telephone or in writing within three calendar days of the
receipt of the HINN/NODMAR. A notice explaining the QIOs determination
and any applicable appeal rights would be sent to the provider and the
beneficiary/ representative. Also, a telephone call would be made to
the beneficiary/representative and the UR Department notifying all
parties of the QIO determination and any applicable appeal rights
immediately after review is completed. B) If admitted, (for
Preadmission or Admission HINN/NODMAR) an immediate review is done at
any point during the stay. In either situation, the QIO will review the
case within two working days following the beneficiary/representative's
request. A notice explaining the QIOs determination and any applicable
appeal rights would be sent to the provider and the
beneficiary/representative. Also, a telephone call would be made to the
beneficiary/representative and the UR Department notifying all parties
of the QIO determination and any applicable appeal rights immediately
after review is completed. C) For a Continued Stay HINN/NODMAR, when the request for
review is submitted no later than noon the first working day after the
HINN has been received, the hospital/MA organization must provide the
medical record to the QIO by close of business of the first working day
after the beneficiary requests review of the HINN/NODMAR. The QIO will
complete the review within one full working day after the date of
receiving the request and the required medical records. The QIO will
notify the beneficiary/representative and hospital/MA organization of
its determination initially by telephone and followed with a written
notification. If the QIO agrees with the HINN/NODMAR, the beneficiary
will become liable for hospitalization on the day following the QIO's
determination.
14. How long can the QIO take to do a review of a Continued
Stay HINN/NODMAR if the beneficiary/representative does not ask for
review until some point after noon the day following the receipt of the
HINN/NODMAR and the beneficiary remains in the hospital?
The QIO will review the case within two working days following the
beneficiary/representative's request and will determine QIO agreement
or disagreement with the notice. If the QIO issues a denial notice
(upholding the hospital's HINN/hospitals or MA organizations NODMAR),
the beneficiary becomes liable on the liability date stated in the
HINN/NODMAR. The beneficiary/representative and hospital/MA
organization will be notified of the QIO's decision in writing and by
telephone if possible.
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