Updates to CMS CoP Interpretive Guidelines: What we need to know for Discharge Planning (Part I)

As alluded to on Monitor Mondays, Dr. Ronald Hirsch and I have been enjoying our fall lattes while combing through the Centers for Medicare & Medicaid Services (CMS) Conditions of Participation (CoP) Interpretive Guidelines.

 The State Operations Manual (SOM), Appendix A– has new updates for hospitals in their QSO-25-24 release, thank goodness (because the last one was 2019-2020). 

Although there are many updates in this version, I will be focusing on §482.43 Discharge Planning. I will preface this information with a healthcare reminder that “if you didn’t document it, you didn’t do it.” This will be important as I provide future updates, and as hospitals and healthcare system case management (CM) programs think about their processes.

One of the most notable changes is the strengthened emphasis on patient and caregiver participation in the discharge planning process. Hospitals must actively involve patients and their families in setting goals of care and treatment preferences. The discharge plan must not only reflect medical needs, but also incorporate patient values, cultural considerations, and post-discharge priorities. Surveyors will expect documentation that patients and caregivers were given meaningful opportunities to engage in decision-making and were informed of available post-acute options.

CMS reiterates that hospitals are responsible for early identification of patients who require discharge planning services. The updated guidelines clarify that the discharge planning process is expected to begin early in the hospitalization. Hospitals are directed to identify, upon admission, those patients who are likely to suffer adverse health consequences if discharged without adequate planning. This early screening allows sufficient time to complete evaluations and develop discharge plans that truly support patient needs, goals, and preferences.

The hospital’s policies and procedures must document the criteria and screening process used to identify patients who are likely to need discharge planning. These criteria should be evidence-based and clearly outline which staff are responsible for carrying out the evaluations. Importantly, CMS has clarified the survey standard: no noncompliance citations will be issued if identification is completed at least 48 hours in advance of discharge, provided there is no evidence that the delay resulted in harm.

The interpretive guidance also provides an important example. If a delay in screening results in discharging a patient to a nursing facility simply because such placements can be arranged quickly, when the patient preferred to go home and could have been safely supported with community services, this would represent a failure of timely identification. Even for hospital stays shorter than 48 hours, patients must still be screened promptly to ensure that discharge planning is completed before discharge, if needed.

This explanation reiterates CMS’s expectation that hospitals move away from last-minute discharge planning and instead adopt a proactive, patient-centered approach that maximizes safe and appropriate transitions of care. Additionally, the CM programs must have a mechanism for patients who were screened out initially as not having discharge planning needs, to be reassessed should the patient’s clinical condition change. It was also confirmed that should the physician request a discharge planning evaluation for their patient, one should be completed even if the patient did not meet the screening criteria.

The guidelines also specify that discharge planning evaluations must be conducted by, or under the supervision of, qualified personnel such as registered nurses, social workers, or other staff designated by hospital policy. This clarification ensures consistency and accountability in who performs and oversees these assessments. State law ultimately governs the qualifications necessary to practice as a registered nurse or social worker, but hospitals must further define in policy what constitutes “appropriately qualified” for other personnel engaged in discharge planning.

Importantly, the guidelines remind us that discharge planning is not a clerical or administrative task, but a specialized clinical function that requires both technical and interpersonal competence. CMS expects that all individuals conducting or supervising discharge planning, whether nurses or social workers, should demonstrate comprehensive knowledge across several domains, such as clinical considerations, social and behavioral factors, insurance coverage, and community resources.

Overall, now would be a good time to review your discharge planning policies and procedures to not only make sure they support the interpretive guideline updates, but also that there is a mechanism within your CM programs to ensure consistency across patients and staff.

Next week I will be reporting on Part II: The Discharge Planning Evaluation Process.

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Tiffany Ferguson, LMSW, CMAC, ACM

Tiffany Ferguson is CEO of Phoenix Medical Management, Inc., the care management company. Tiffany serves on the ACPA Observation Subcommittee. Tiffany is a contributor to RACmonitor, Case Management Monthly, and commentator for Finally Friday. After practicing as a hospital social worker, she went on to serve as Director of Case Management and quickly assumed responsibilities in system level leadership roles for Health and Care Management and c-level responsibility for a large employed medical group. Tiffany received her MSW at UCLA. She is a licensed social worker, ACM, and CMAC certified.

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