COVID-19: UPDATED Nursing and Long-Term Care Facilities – Coronavirus (COVID-19) Considerations (Updated)

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Nursing homes and other long-term care facilities (hereinafter, “LTC Facilities”) are among the health care providers whose patient populations are particularly vulnerable to the ongoing spread of COVID-19. We have recently seen, and the Centers for Disease Control and Prevention (“CDC”) has confirmed, the fragile patient population(s) treated at nursing homes are “at the highest risk of being affected by COVID-19” due to the setting and types of residents served — older adults often with underlying chronic medical conditions. [1] The long-term and residential nature of patient stays at LTC Facilities adds to the vulnerability of these patient care settings.

According to CDC statistics, “over 4 million Americans are admitted to or reside in nursing homes and skilled nursing facilities each year and near one million persons reside in assisted living facilities.” According to the World Health Organization report, the fatality rate for COVID-19 patients older than 80 in China was 21.9 percent, while patients of all ages with no underlying chronic condition had a fatality rate of 1.4 percent. [2] The United States has already seen significant consequences from COVID-19 is the nursing home setting. The CDC has released estimates of the number of cases in nursing homes, most recently on March 30. Various media reports detail that CDC director Robert Redfield stated that over 400 facilities have confirmed cases. [3] Senators are now pressuring the CDC to start taking a formal tally of cases and also releasing the names of facilities where residents have tested positive. [4] Life Care Center of Kirkland in the State of Washington, is a prime example of the spreading of the virus in the nursing home context. [5] Of the 120 patients at Life Care Center of Kirkland on February 19, 2020, 63 have tested positive for COVID-19, although many had already been transferred to local hospitals. As of March 18, COVID-19 cases had been identified in 81 residents, 34 staff members, and 14 visitors to the facility. [6] As of March 23, 37 deaths had been linked to the facility. [7] The Centers for Medicare & Medicaid Services (“CMS”) has fined Life Care Center of Kirkland over $600,000 based upon findings of alleged non-compliance with certain federal requirements for nursing homes. [8] Life Care Center of Kirkland is discussed further below.

In light of the continued guidance for LTC Facilities and reports of several LTC Facilities around the country managing cases of residents/patients infected by COVID-19, [9] this alert is meant to focus on certain COVID-19 issues of particular note for LTC Facilities, although this is not meant to be an exhaustive list. Of note, the materials discussed herein focus on federal guidance applicable to LTC Facilities; however, LTC Facilities should also consider state and local law and guidance as well as the requirements of accrediting bodies. Finally, LTC Facilities should take note of publications and guidance from industry organizations and associations that may inform LTC Facilities as to best practices in response to COVID-19.

Updated Recommendations from CMS and CDC
On April 2, 2020, the CDC and CMS issued guidance on key recommendations for nursing homes, as well as state and local governments. Highlighted in this information, were the new focused infection control surveys being implemented by CMS (discussed further below). Initial results of these surveys have “found that 36 percent of facilities inspected in recent days did not follow proper hand washing guidelines and 25 percent failed to demonstrate proper use of personal protective equipment (PPE).”

The following key recommendations were announced:

  • Nursing homes should immediately ensure that they are complying with all CMS and CDC guidance related to infection control.
  • As nursing homes are a critical part of the healthcare system, and because of the ease of spread in LTC Facilities and the severity of illness that occurs in residents with COVID-19, CMS/CDC urges State and local leaders to consider the needs of LTC Facilities with respect to supplies of PPE and COVID-19 tests.
  • Nursing homes should immediately implement symptom screening for all staff, residents, and visitors – including temperature checks.
  • Nursing homes should ensure all staff are using appropriate PPE when they are interacting with patients and residents, to the extent PPE is available and per CDC guidance on conservation of PPE.
  • To avoid transmission within nursing homes, facilities should use separate staffing teams for residents to the best of their ability, and, as President Trump announced at the White House today, the administration urges nursing homes to work with State and local leaders to designate separate facilities or units within a facility to separate COVID-19 negative residents from COVID-19 positive residents and individuals with unknown COVID-19 status.

Another notable recommendation is for states to designate specific facilities for COVID-19 positive patients. A facility in Massachusetts has been designated as such, and its 142 beds will be reserved for residents across the region who contract COVID-19. Alternatively, distinct units within individual facilities could be designated for patients who are positive, negative, or under observation for potential exposure.

The full press release and guidance document can be found at the following links:

Trump Administration Issues Key Recommendations to Nursing Homes, State and Local Governments (April 2, 2020)
COVID-19 Long-Term Care Facility Guidance (April 2, 2020)

CMS Nursing Facility COVID-19 Guidance
On March 23, 2020, CMS announced the findings of the inspections of Life Care Center of Kirkland in Washington State and identified a new targeted plan for facility inspections in response to COVID-19. [10] On March 16, 2020, CMS and Washington Health Services State Survey Agency concluded an inspection of Life Care Center of Kirkland. There were three “immediate jeopardy” situations according to the CMS release. “[S]pecifically, the facility’s failure to rapidly identify and manage ill residents, notify the Washington Department of Health about the increasing rate of respiratory infections among residents, and failure to possess a sufficient back up plan following the absence of the facility’s primary clinician, who fell ill.” As noted above, this is not the only nursing home that has felt the impact of COVID-19. According to the CMS release of March 23, 147 nursing homes across 27 states have at least one resident with COVID-19 based on CDC data shared with CMS (as noted above, as of March 30, there are now over 400 facilities with confirmed cases). In light of this information, CDC and CMS are collaborating about locations where there are active cases and identifying locations that may be likely for future cases and target the inspections accordingly. Building on the March 4, 2020 guidance identified below, only certain inspections will be conducted, which include: complaint inspections, targeted infection control inspections, and self-assessments. CMS Administrator Seema Verma stated, “Today, we are issuing a call to action to nursing homes, hospitals and the entire health care system: Don’t wait to be inspected. Starting today you can – and should – use CMS’s self assessment tool to ensure you’re prepared to prevent the spread of Coronavirus.” The CMS press release can be found at the following link:

CMS Announces Findings at Kirkland Nursing Home and New Targeted Plan for Healthcare Facility Inspections in light of COVID-19 (March 23, 2020)

On March 13, 2020, the CMS issued revised guidance for LTC Facilities specific to COVID-19, which is intended to help LTC Facilities improve their infection control and prevention practices and provide additional guidance related to facilities’ visitation policies. [11]

The below provides a summary of CMS’s guidance; however, LTC Facilities should review CMS’s guidance, in full, at the following link:
Guidance for Infection Control and Prevention of Coronavirus Disease 2019 (COVID-19) in nursing homes (REVISED), QSO-20-14-NH (March 13, 2020)

Infection Control, Prevention, and Screening
First, CMS provided guidance related to LTC Facilities’ screening and treatment of suspected and confirmed COVID-19. CMS directed LTC Facilities to contact their local health department if they have questions or suspect a resident has COVID-19. CMS deferred to the CDC guidance stating, “[P]rompt detection, triage and isolation of potentially infectious residents are essential to prevent unnecessary exposures among residents, healthcare personnel, and visitors at the facility.” CMS further advised LTC Facilities to vigilantly identify any possibly infected individuals and consider increasing the frequency of monitoring patients for potential symptoms of respiratory infections. Separately, on March 4, 2020, CMS announced that until further notice state survey agencies and accrediting organizations are to focus their facility inspections exclusively on issues related to infection control and other serious health and safety threats. [12] This guidance can be found at:
Suspension of Survey Activities, QSO-20-12-All (March 4, 2020)

Additionally, on March 11, 2020, CMS provided further guidance to state surveyors, health care facilities, patients and caregivers, and accrediting organizations in the form of an FAQ. [13] Specifically, CMS advised LTC Facilities focus efforts on infection disease protocols, including preparing for treating patients with COVID-19, and recommends LTC Facilities monitor closely CMS and CDC publications related to triage of presumptive or confirmed cases of COVID-19 and shortfalls in personal protective equipment. This guidance can be found at:
Frequently Asked Questions for State Survey Agency and Accrediting Organization Coronavirus Disease 2019 (COVID-19) Survey Suspension (March 10, 2020)

Visitation Restrictions
Second, CMS addressed how to limit transmission of COVID-19 in LTC Facilities by managing visitation. Specifically and emphatically, CMS states, “Facilities should restrict visitation of all visitors and non-essential health care personnel (“HCP”), except for certain compassionate care situations, such as an end-of-life situation.” In end-of-life situations, visitors should be limited to a specific room. LTC Facilities are expected to convey these restrictions to potential visitors and advise they defer visitation until further notice. CMS also noted that if a state were to further limit visitation to apply even in end-of-life situations, a LTC Facilities’ compliance with the state requirement would not result in a citation for noncompliance with CMS’s visitation requirements.

If visitation is to occur, LTC Facilities should require visitors to wash their hands and wear personal protective equipment, such as face masks. Any potential visitor, including clergy and bereavement counselors, should be screened for fever or respiratory symptoms. If a visitor presents with said symptoms of COVID-19, they are not to be permitted into the facility at any time, even in end-of-life situations. Decisions about visitation in compassionate care situations are to be made on a case-by-case basis. Lastly, CMS directs LTC Facilities to:

Advise visitors, and any individuals who entered the facility (e.g., hospice staff), to monitor for signs and symptoms of respiratory infection for at least 14 days after exiting the facility. If symptoms occur, advise them to self-isolate at home, contact their healthcare provider, and immediately notify the facility of the date they were in the facility, the individuals they were in contact with, and the locations within the facility they visited.

CMS identified a number of exceptions to the above visitation restrictions:

  • Health care workers: This applies to other health care workers, such as hospice workers, Emergency Medical Services (“EMS”) personnel, or dialysis technicians that provide care to residents. They should be permitted to come into the facility as long as they meet the CDC guidelines for health care workers.
  • Surveyors: CMS and state survey agencies are constantly evaluating their surveyors to ensure they do not pose a transmission risk when entering a facility. For example, surveyors may have been in a facility with COVID-19 cases in the previous 14 days, but because they were wearing personal protective equipment effectively per CDC guidelines, they pose a low risk to transmission in the next facility and must be allowed to enter. However, there are circumstances under which surveyors should still not enter, such as if they have a fever.

CMS also advises the screening applicable to visitors be applied to facility staff as well; health care providers with signs and symptoms of respiratory infection should not report to work, and if they develop said signs and symptoms at work, such staff should immediately stop work, put on a face mask, and self-isolate at home. CMS suggests that LTC Facilities specifically identify staff that work at multiple facilities and make sure that such staff are actively screened, as they pose a potentially high risk to patients. CMS also advised LTC Facilities, as it relates to vendors, stating:

[R]eview and revise how they interact vendors and receiving supplies, agency staff, EMS personnel and equipment, transportation providers (e.g., when taking residents to offsite appointments, etc.), and other non-health care providers (e.g., food delivery, etc.), and take necessary actions to prevent any potential transmission. For example, do not have supply vendors transport supplies inside the facility. Have them dropped off at a dedicated location (e.g., loading dock). Facilities can allow entry of these visitors if needed, as long as they are following the appropriate CDC guidelines for Transmission-Based Precautions.

Additional Guidance
In addition to the above, CMS provided guidance related to the following topics:

  • Cancellation of communal dining and all group activities, such as internal and external group activities.
  • Reminding residents to practice social distancing and perform frequent hand hygiene.
  • Transferring facility residents/patients with confirmed infections to hospitals and/or accepting residents/patients with confirmed infections from hospitals.
  • Maintenance of appropriate supply levels and citations for deficiencies.

Facilities should take advantage of other CMS and CDC resources, which are discussed and linked below.

CDC Guidance

The CDC provided, and continues to update, resources related to COVID-19 specific to LTC Facilities, including a preparedness checklist, guidance on infection prevention and control, and additional guidance for LTC Facilities when there are, and are not, COVID-19 cases in their community. What follows is a high-level summary of CDC guidance; however, LTC Facilities should review the guidance related to LTC facilities on the CDC’s website at the following link:
Preparing for COVID-19: Long-term Care Facilities, Nursing Homes

COVID-19 Preparedness Checklist
The CDC suggests LTC Facilities take the following into consideration to improve preparedness for responding to COVID-19 and in developing their COVID-19 response plan:

  • Rapid identification and management of ill residents.
  • Considerations for visitors and consultant staff.
  • Supplies and resources.
  • Sick leave policies and other occupational health considerations.
  • Education and training.
  • Surge capacity for staffing, equipment and supplies, and postmortem care.

The CDC also provided a checklist identifying key areas LTC Facilities should consider and allowing LTC Facilities to self-assess the strengths and weaknesses of preparedness efforts. [10]Said checklist is available at the following link:
Coronavirus Disease 2019 (COVID-19) Preparedness Checklist for Nursing Homes and other Long-Term Care Settings

Infection Prevention and Control
The CDC’s guidance related to infection prevention and control mirrors the guidance provided by CMS; specifically, the CDC recommends LTC Facilities:

  • Restrict all visitation except for certain compassionate care situations, such as end-of-life situations.
  • Restrict all volunteers and nonessential HCP (e.g., barbers).
  • Cancel all group activities and communal dining.
  • Implement active screening of residents and HCP for fever and respiratory symptoms.

The CDC further stated, “[N]ursing homes should assume [COVID-19] could already be in their community” and should implement the above recommended precautions.

VA Guidance
On March 10, 2020, the U.S. Department of Veterans Affairs (“VA”) announced safeguards to protect nursing home and spinal cord injury patients highlighting the VA’s 134 nursing homes around the country. [15] Three main points were identified that are applicable to VA nursing homes:

  1. All VA nursing homes will adopt a “No Visitor Stance,” meaning no outside visitors will be permitted to see residents. The exception is when veterans are in the last stage of life in the hospice units. In this case, the visitors will be limited to a particular room.
  2. All VA nursing homes will suspend new admissions. VA nursing homes will continue to welcome resident transfers from VA facilities once medical personnel have determined patients are not at risk for infection from COVID-19 or transmitting COVID-19.
  3. Nursing home staff will be actively screened daily and dedicated to working at Community Living Centers.

Emergency Response: Federal and State
On March 13, 2020, President Donald Trump declared a nationwide emergency. [16] This declaration increases federal support to the Department of Health & Human Services in its role as the lead federal agency in the ongoing COVID-19 pandemic response. As a result of the declaration, the Federal Emergency Management Agency (“FEMA”) will reimburse eligible emergency protective measures taken to respond to COVID-19 at the direction or guidance of public health officials. FEMA assistance will not duplicate assistance from other federal agencies and will be provided at a 75 percent cost share. In response to the COVID-19 emergency, CMS has taken proactive steps through 1135 waivers and the issuance of an Interim Final Rule to expand efforts against COVID-19. [17]

1135 Waivers

CMS announced blanket 1135 waivers on certain specific topics on March 13, 2020, which include, but are not limited to:

  • Skilled Nursing Facilities
    • CMS is waiving the requirement for a three-day prior hospitalization for coverage of a skilled nursing facility (“SNF”) stay, providing temporary emergency coverage of SNF services for those people who need to be transferred as a result of the effect of a disaster or emergency. In addition, for certain beneficiaries who recently exhausted their SNF benefits, it authorizes renewed SNF coverage without first having to start a new benefit period.
    • Second, CMS is waiving 42 C.F.R. 483.20 to provide relief to SNFs on the time-frame requirements for Minimum Data Set assessments and transmission.
  • Supporting Care for Patients in Long-Term Care Acute Hospitals (each, an “LTCH”)
    • Allows LTCHs to exclude patient stays where an LTCH admits or discharges patients in order to meet the demands of an emergency from the 25-day average length of stay requirement that allows these facilities to be paid as LTCHs.

Said blanket waivers are available at the following link:
COVID-19 Emergency Declaration Health Care Providers Fact Sheet (March 30, 2020)

Moreover, on March 30 CMS summarized guidance on emergency waivers in a fact sheet for LTC Facilities detailing the flexibilities such facilities can rely on during the COVID-19 Emergency. Waivers summarized in the fact sheet include:

  • Physician visits in skilled nursing facilities/nursing facilities: CMS is waiving the requirement in 42 CFR 483.30 for physicians and non-physician practitioners to perform in-person visits for nursing home residents and allow visits to be conducted, as appropriate, via telehealth options.
  • Physical Environment:
    • CMS is waiving requirements under 42 CFR § 483.90 to allow for a non-SNF building to be temporarily certified as and available for isolation processes, if the location is approved by the state. CMS will also waive certain conditions of participation and certification requirements for temporary facilities when requested by the state.
    • Alternative rooms in facilities may be used to assist with isolation needs temporarily. Residents may be housed in activity rooms, meeting/conference rooms, dining rooms, or other rooms, as long as residents can be kept safe, comfortable, and other applicable requirements for participation are met. This can be done so long as it is not inconsistent with a state’s emergency preparedness or pandemic plan, or as directed by the local or state health department.
  • Transfers of COVID-19 Patients: For the purposes of cohorting and separating residents with and without COVID-19, CMS is waiving certain requirements under 42 CFR §483.10, §483.15, and §483.21.
  • Staffing Data Submission: The requirements for submitting staffing data through the Payroll-Based Journal system under 42 CFR 483.70(q) are waived.
  • Pre-Admission Screening and Annual Resident Review (PASRR): Assessments for new residents may be suspended for 30 days.
  • Resident Groups: CMS is waiving the requirements at 42 CFR 483.10(f)(5) to allow for residents to have the right to participate in-person in resident groups.
  • Workforce: CMS is waiving the requirements at 42 CFR §483.35(d), (except for 42 CFR §483.35(d)(1)(i)), which require that a SNF and nursing facility may not employ anyone for longer than four months unless they met the training and certification requirements under §483.35(d). Note that facilities are still required to ensure that nurse aides are able to demonstrate competency in skills and techniques necessary to care for residents’ needs, as identified through resident assessments, and described in the plan of care under 42 CFR 483.35(c).

The fact sheet is available below:

Long Term Care Facilities (Skilled Nursing Facilities and/or Nursing Facilities): CMS Flexibilities to Fight COVID-19 (March 28, 2020)

Lastly, individual waivers may also be requested under 1135 through the CMS regional office. [18] For instance, as of April 7, 2020, CMS had approved Medicaid waivers for at least 47 states addressing a number of areas, including nursing homes. [19]

Interim Final Rule
Additional changes were announced by CMS as part of an Interim Final Rule. In regards to telehealth services, additional nursing facility services will now be covered by Medicare. CMS is also removing frequency limitations on subsequent care services in nursing facilities.

The full text of the Interim Final Rule is available below:

IFC Federal Register Announcement (April 1, 2020)

CARES Act
Congress has also taken action to aid Americans during the COVID-19 emergency. On March 27, 2020, the Coronavirus Aid, Relief, and Economic Security (“CARES”) Act was signed into law. [20] Several provisions impact LTC Facilities including Sec. 3711. Increasing Access to Post-Acute Care During Emergency Period. This provision permits waivers of the IRF 3-Hour Rule and Site Neutral Rule for Payments to LTCHs.

Additionally, LTC Facilities may be eligible for funds related to “health care related expenses or lost revenues that are attributable to coronavirus.” To be eligible a provider must submit an application that includes “a statement justifying the need of the provider for the payment and the eligible health care provider shall have a valid tax identification number.” No additional information was provided in the Act on the application process. Applications will be reviewed on a rolling basis and use of the funds is limited to “building or construction of temporary structures, leasing of properties, medical supplies and equipment including personal protective equipment and testing supplies, increased workforce and trainings, emergency operation centers, retrofitting facilities, and surge capacity.”

The full text of the CARES Act is available at the below link:

H.R.748 - CARES Act

Additionally, some locales have also declared a state of emergency. Such a declaration may further allow access to additional resources or authorize governmental actions in a more expeditious manner that may alter the processes by which a facility would ordinarily operate with regard to investigation, enforcement, or other regulatory matters. For these reasons, it is important to closely monitor your state and local health authorities, as well as federal agencies and declarations, directives, or other executive orders.

Conclusion
LTC Facilities should take note of the ample guidance provided by the various organizations, such as CMS and the CDC. Below are links to a number of those documents. This guidance can assist LTC Facilities in making informed, strategic decisions related to the very real threat faced by facilities and their patients. While these documents can serve as guideposts in formulating a response to COVID-19, LTC Facilities may wish to engage inside and/or outside counsel to ensure their response is tailored to their needs and the patient population they service.


Citing References and Additional Resources:


NOTES:

[1] CTRS. FOR DISEASE CONTROL AND PREVENTION, Preparing for COVID-19: Long-term Care Facilities, Nursing Homes, https://www.cdc.gov/coronavirus/2019-ncov/healthcare-facilities/prevent-spread-in-long-term-care-facilities.html.
[2] World Health Org., Report of the WHO-China Joint Mission on Coronavirus Disease 2019 (COVID-19) (Feb. 16–24, 2020), https://www.who.int/docs/default-source/coronaviruse/who-china-joint-mission-on-covid-19-final-report.pdf.
[3] Laura Strickler, Number of long-term care facilities with COVID-19 cases tops 400 nationwide, NBC NEWS (March 30, 2020), https://www.nbcnews.com/health/health-care/number-long-term-care-facilities-covid-19-cases-tops-400-n1172516. See also Joanne Kenen, Rachel Roubein & Susannah Luthi, How public health failed nursing homes, Politico (April 6, 2020), https://www.politico.com/news/2020/04/06/public-health-failed-nursing-homes-167372.
[4] Laura Strickler, CDC pressured to start keeping a formal tally of nursing homes with coronavirus cases, NBC NEWS (April 6, 2020), https://www.nbcnews.com/health/health-news/cdc-weighs-keeping-formal-tally-how-many-nursing-homes-have-n1177801.
[5] Press Briefing, Life Care Ctr. of Kirkland, Update from Life Care Center of Kirkland (Mar. 13, 2020), https://lcca.com/downloads/kirkland/Kirkland-Update-03132020.pdf.
[6] Temet M. McMichael et al., COVID-19 in a Long-Term Care Facility — King County, Washington, February 27–March 9, 2020, Morbidity and Mortality Weekly Report (March 26, 2020), https://www.cdc.gov/mmwr/volumes/69/wr/mm6912e1.htm?s_cid=mm6912e1_w.
[7] Seattle & King County Public Health, Press Release, Urgent need for people to limit contact, and other COVID-19 updates from Public Health for March 23, 2020, https://www.kingcounty.gov/depts/health/news/2020/March/23-covid.aspx.
[8] Letter from Patrick Thrift, Branch Manager, Seattle Long Term Care to Ellie Basham, Administrator, Life Care Center of Kirkland (April 1, 2020), https://www.documentcloud.org/documents/6824370-CMS-Final-LCC-of-Kirkland-Extention-of-23-to-180.html.
[9] Madeline Holcombe, Washington governor orders nursing homes to limit visitors as the coronavirus outbreak spreads across 11 facilities, CNN (Mar. 11, 2020), https://www.cnn.com/2020/03/11/health/coronavirus-washington-nursing-home-outbreaks/index.html; WBRZ Staff, Officials: 12 coronavirus cases, one death reported at New Orleans retirement home, WBRZ (Mar. 16, 2020), https://www.wbrz.com/news/three-of-louisiana-s-13-coronavirus-patients-are-residents-of-same-new-orleans-nursing-home/.
[10] DEP’T OF HEALTH & HUMAN SERVS., CTRS. FOR MEDICARE & MEDICAID SERVS., Press Release, CMS Announces Findings at Kirkland Nursing Home and New Targeted Plan for Healthcare Facility Inspections in light of COVID-19 (March 23, 2020).
[11] DEP’T OF HEALTH & HUMAN SERVS., CTRS. FOR MEDICARE & MEDICAID SERVS., CTR. FOR CLINICAL STANDARDS AND QUALITY/QUALITY, SAFETY & OVERSIGHT GROUP, Guidance for Infection Control and Prevention of Coronavirus Disease 2019 (COVID-19) in nursing homes (REVISED), QSO-20-14-NH (Mar. 13, 2020).
[12] DEP’T OF HEALTH & HUMAN SERVS., CTRS. FOR MEDICARE & MEDICAID SERVS., CTR. FOR CLINICAL STANDARDS AND QUALITY/QUALITY, SAFETY & OVERSIGHT GROUP, Suspension of Survey Activities, QSO-20-12-All (Mar. 4, 2020).
[13] DEP’T OF HEALTH & HUMAN SERVS., CTRS. FOR MEDICARE & MEDICAID SERVS., CTR. FOR CLINICAL STANDARDS AND QUALITY/QUALITY, SAFETY & OVERSIGHT GROUP, Frequently Asked Questions for State Survey Agency and Accrediting Organization Coronavirus Disease 2019 (COVID-19) Survey Suspension (Mar. 11, 2020).
[14] CTRS. FOR DISEASE CONTROL AND PREVENTION, Coronavirus Disease 2019 (COVID-19) Preparedness Checklist for Nursing Homes and other Long-Term Care Settings, https://www.cdc.gov/coronavirus/2019-ncov/downloads/novel-coronavirus-2019-Nursing-Homes-Preparedness-Checklist_3_13.pdf.
[15] News Release, U.S. Dep’t of Veterans Aff., Off. of Pub. Aff. Media Relation, VA announces safeguards to protect nursing home and spinal cord injury patients (Mar. 10, 2020), https://www.va.gov/opa/pressrel/includes/viewPDF.cfm?id=5400.
[16] DEP’T OF HOMELAND SECURITY, FED. EMERGENCY MGMT. AGENCY, COVID-19 Emergency Declaration, HQ-20-017-Fact Sheet (Mar. 13, 2020), https://www.fema.gov/news-release/2020/03/13/covid-19-emergency-declaration.
[17] Press Release, Dep’t of Health & Human Serv s., Ctrs. for Medicare & Medicaid Servs., Trump Administration Makes Sweeping Regulatory Changes to Help U.S. Healthcare System Address COVID-19 Patient Surge (March 30, 2020), https://www.cms.gov/newsroom/press-releases/trump-administration-makes-sweeping-regulatory-changes-help-us-healthcare-system-address-covid-19. See also Press Release, Dep’t of Health & Human Servs., Ctrs. for Medicare & Medicaid Servs., CMS Takes Action Nationwide to Aggressively Respond to Coronavirus National Emergency (Mar. 13, 2020), https://www.cms.gov/newsroom/press-releases/cms-takes-action-nationwide-aggressively-respond-coronavirus-national-emergency.
[18] DEP’T OF HEALTH & HUMAN SERVS., CTRS. FOR MEDICARE & MEDICAID SERVS., Additional Emergency and Disaster-Related Policies and Procedures That May Be Implemented Only With a § 1135 Waiver (Mar. 15, 2019), https://www.cms.gov/About-CMS/Agency-Information/Emergency/downloads/MedicareFFS-EmergencyQsAs1135Waiver.pdf.
[19] DEP’T OF HEALTH & HUMAN SERVS., CTRS. FOR MEDICARE & MEDICAID SERVS., Medicaid.gov, Federal Disaster Resources, https://www.medicaid.gov/state-resource-center/disaster-response-toolkit/federal-disaster-resources/index.html (last visited on April 8, 2020) (State for which waivers have been granted include: Alabama, Alaska, Arizona, Arkansas, California, Colorado, Connecticut, Delaware, D.C., Florida, Georgia, Hawaii, Idaho, Illinois, Indiana, Iowa, Kansas, Kentucky, Louisiana, Maine, Maryland, Massachusetts, Michigan, Minnesota, Mississippi, Missouri, Montana, Nebraska, Nevada, New Hampshire, New Jersey, New Mexico, New York, North Carolina, North Dakota, Oklahoma, Oregon, Pennsylvania, Rhode Island, South Carolina, South Dakota, Tennessee, Texas, Vermont, Virginia, Washington, West Virginia, Wyoming).
[20] See Coronavirus Aid, Relief, and Economic Security Act (Public Law No: 116-136).

DISCLAIMER: Because of the generality of this update, the information provided herein may not be applicable in all situations and should not be acted upon without specific legal advice based on particular situations. Attorney Advertising.

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