No. Use February 28 of the measurement year when identifying the Age of the member for Rate 1 and Rate 2. NCQA does not make changes that impact software programming after the release of the Technical Update memo.
HEDIS 2017
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Yes. Organizations may make this change to the CDC measure. On page 143, in step 1 of the Medical Record, organizations may delete the second and third bullets and add the following bullet:
NCQA allows organizations to make this change because it does not impact software programming for the measure. If an organization makes this change, it must do so consistently across all members.
HEDIS 2017
For the 2016 standards year, NCQA evaluates and scores the UM 4, Element H file review as normal during the onsite survey.
The final score will be adjusted, after the onsite survey, to 100% if the organization includes all denials required by UM 4, Element H in the file review universe.
If the organization does not include all denials in the file review universe, NCQA will adjust the organization's final score to 50% for the 2016 standards year and 0% thereafter.
UM-CR 2016
The following types of denials are included in file review for UM 4, Element H (UM 4F in UM-CR and MBHO):
UM-CR 2016
No. Facilities may not be mapped to a provider type unless an organization can demonstrate that all providers rendering services at the facility meet the NCQA provider definition defined in Appendix 3. Organizations should work with their HEDIS Compliance Auditor, who can review and approve mapping.
HEDIS 2017
No. A third paragraph should have been added that reads, “For factor 2, NCQA reviews a documented process, reports or materials, depending on the action taken to address identified opportunities.”
The update was intended to give organizations the option of presenting its updated policies and procedures, materials or a report showing revisions, if the intervention was revision of policies and procedures or materials.
NCQA will correct the scope of review for both elements in the November release of the NCQA Corrections, Clarifications and Policy Changes to the 2016 HP Standards.
Health plans that delegate the following structural requirements to an NCQA-Accredited MBHO are eligible to receive automatic credit, as stated in Appendix 5, Table 3 (this is Appendix 3, Table 21 in the MBHO standards and guidelines), if they meet the criteria for automatic credit. The organization does not need to provide its own documentation.
1MBHO equivalent standard/element is in parentheses.
Organizations that delegate the following structural requirements to an NCQA-Accredited health plan are eligible to receive automatic credit, as stated in Appendix 5, Table 2, if they meet the criteria for automatic credit. The organization does not need to provide its own documentation.
· QI 4, Element B: Behavioral Healthcare Telephone Access Standards.
· QI 5, Element F: Case Management Process.
· NET 1, Element B: Practitioners Providing Primary Care, factors 1 and 2.
· NET 1, Element C: Practitioners Providing Specialty Care, factors 1–4.
· NET 1, Element D: Practitioners Providing Behavioral Healthcare, factors 1–3.
· NET 2, Element A: Access to Primary Care.
· NET 2, Element B: Access to Behavioral Healthcare.
Yes. NCQA posted an example HAI SIR table to the HEDIS 2017 Web site at http://www.ncqa.org/hedis-quality-measurement/hedis-measures/hedis-2017. The final HAI SIR table (Table HSIR) will be posted to the NCQA Web site by January 2, 2017.
HEDIS 2017