Greetings!

This message includes:
  • information on the QSO memo updating the COVID-19 Blanket Waivers;
  • next steps for using TNAs in light of this QSO memo (we have supplemented information from AHCA/NCAL with Virginia-specific information as applicable); and
  • an update on Provider Relief Fund Reporting Flexibilities. 

Sincerely,

April Payne, MBA, LNHA
Chief Quality & Regulatory Affairs Officer
Executive Director of VCAL
Virginia Health Care Association | Virginia Center for Assisted Living 
Update to COVID-19 Emergency Declaration
Blanket Waivers for Specific Providers

CMS issued QSO-22-15-NH & NLTC & LSC​, which provides an update to COVID-19 emergency declaration blanket waivers for specific providers. According to the memo, CMS will end certain waivers as of May 7 and additional waivers will end on June 6.  
CMS will end specified waivers in two groups: 

​30 days from issuance of this memorandum – Saturday, May 7, 2022 
  • Resident Groups  
  • Physician Delegation of Tasks in SNFs  
  • Physician Visits  
  • Physician Visits in Skilled Nursing Facilities/Nursing Facilities  
  • Quality Assurance and Performance Improvement (QAPI)  
  • Detailed Information Sharing for Discharge Planning for Long-Term Care (LTC) Facilities  
  • Clinical Records  
 
60 days from issuance of this memorandum – Monday, June 6, 2022 
  • Physical Environment  
  • Life Safety Code (LSC) and Health Care Facilities Code (HCFC) ITM  
  • Outside Windows and Doors  
  • Life Safety Code-Fire Drills & Temporary Construction 
  • Paid Feeding Assistants for LTC facilities 
  • In-Service Training for LTC facilities (nursing assistant specific)
  • Training and Certification of Nurse Aides for SNF/NFs ​

Please reference the memo​ for specific details around each of the waiver categories.

Important note: The announcement about waiver end dates does not impact the 3-Day Stay or the Spell of Illness waivers. Those waivers remain in force nationwide for all hospitals, communities, and SNFs.​
Next Steps for Facilities Using 1135 Waiver
for Training and Certification of Nurse Aides

​The release of QSO​-22-15-NH & NLTC & LSChas caused concern and confusion as to what it means for the ability of nursing homes to employ Temporary Nurse Aides (TNAs). AHCA understands members concerns and challenges, as the TNA role has been invaluable to the care of residents throughout the pandemic and TNAs serve as key support to the other staff in nursing homes.​

AHCA is seeking some clarifications from CMS, which it expects to receive next week. In the meantime, below are some key takeaways and next steps facilities can take to prepare for the upcoming end of the 1135 waiver. 

What training do TNAs need to complete to become CNAs? 

Per the QSO Memo, TNAs who were hired during the blanket waiver period must complete a state-approved Nurse Aide Training and Competency Evaluation Program (NATCEP) to become a certified nurse aide (CNA).

There are three steps for the TNA2CNA pathway in Virginia. An individual must:
  1. successfully complete AHCA/NCAL’s online 8-hour Temporary Nurse Aide training course;
  2. demonstrate competencies on the Temporary Nurse Aide Skills Competency Checklist; and
  3. currently be employed by a nursing facility.

The Virginia Board of Nursing (BON) has said a TNA who meets those criteria is able to apply to take the National Nurse Aide Assessment Program (NNAAP) examination while the CMS Blanket Waiver is in effect under the federal public health emergency (PHE).

To be considered for the NNAAP:
  1. the TNA must complete an application through PearsonVUE and
  2. the employer must provide written verification the TNAs competency and employment as a TNA using this Sample Attestation Letter.

This Credentia webpage has more information for test takers including a Step-by-step Candidate Guide and the Virginia Nurse Aide Candidate Handbook (October 2021). The handbook will assist in increasing your awareness of what to expect during testing.

What do I do if my state has backlogs in training and/or testing which is delaying the TNAs in my facility from becoming CNAs? 

CMS acknowledges that there may be instances where the volume of temporary nurse aides who must complete a state-approved NATCEP may exceed the available state capacity. In states where backlogs and delays for training and/or testing may exist, the facility should: 

  • Evaluate status of all TNAs employed including progress towards becoming certified as a nurse aide. Maintain supporting documentation for each TNA’s progress. 
  • Have written documentation demonstrating all attempts made to have TNAs complete their training and testing. This can include documentation from both the facility and the TNAs to training programs and testing sites in multiple locations. ​
  • Have frequent communication to state officials (may include CNA registry, survey agency, Board of Nursing, Department of Education) regarding the delays and backlogs in training and/or testing and outline the facility’s attempts to enroll TNAs into training/testing programs. Document those communications. 
  • Enroll TNAs into training and/or testing centers as soon as possible, even if the only option is a waitlist. 
  • Keep all communications to and from state agency overseeing nurse aide programs. Maintain a log showing ongoing and multiple attempts. 
  • Keep all communications to and from training and/or testing centers. Maintain a log showing ongoing and multiple attempts. 
  • AHCA is developing a template for facilities to use to guide the process of notification asking to retain the waiver. Providers will be updated when the template is complete. 

Note from April: Over the past few weeks, several members have expressed concerns regarding delays in scheduling exams, proctor availability, and exam results being readily available for students and the BON. These concerns have been raised with the BON and are being addressed systematically.

What should I do if my state does not have backlogs in training or testing and we have TNAs working in our facility? 

In states that do not have a backlog or delay in training and/or testing sites, facilities should be actively seeking to transition all TNAs into CNAs as soon as possible. As noted above, maintain documentation for each TNA and their progress towards CNA to ensure it is timely according to allowed timeframes. 

Reference the steps listed above for the TNA2CNA pathway in Virginia.

How long can TNAs still work as nurse aides in training after the 1135 waiver ends? 

The waiver is set to end on June 6, 2022. The traditional four months of time as specified by CMS to get nurse aides in training to become certified will begin on June 6, 2022.

This means facilities will need to have TNAs become certified before October 6, 2022, to continue working as a nurse aide. If a TNA is not certified by the end of the four months post-waiver termination, the TNA cannot continue working as a nurse aide in training, except for those who are experiencing testing and/or training capacity issues and have received approval from their state official. 

How can my facility engage individuals who served as TNAs but do not want to become CNAs or are unable to within the allowed timeframes? 

Facilities who are not able to get TNAs transitioned into CNA positions within the allowed timeframes, could consider how to engage TNAs in non-nurse aide work. This could be in the role of valet, hall monitor, shift coach, answer call-lights, spend time with resident's one-on-one, provide stimulating activities, or any other number of tasks that do not require a CNA. 

Review VHCA-VCAL’s Personal Assistants Training and Task Guide (download the Word version). We developed this guide in April 2020 in collaboration with Chiles Healthcare Consulting to help members use various non-clinical staff members to provide needed services. The tool can be used as you hire and train these staff members. This guide represents a compilation of resources that are intended to provide long term care facilities with the necessary education tools and some recommended tasks that are appropriate for a Personal Assistant.

AHCA will continue to advocate for innovative approaches to resident care and services and seek new ways for enhancing the workforce to support members in providing quality care to residents. Please email [email protected] with any questions. 
HRSA Offers New PRF Reporting Flexibilities

The Health Resources and Services Administration (HRSA) has announced information on the opportunity to request the submission of a late Provider Relief Fund (PRF) report based on extenuating circumstances for payments received between April 10 to June 30, 2020. Below is detailed information that is also located on the HRSA PRF website
 
If a provider who missed Reporting Period 1 has not previously registered for the PRF Reporting Portal, the provider should proceed with registering now by visiting https://prfreporting.hrsa.gov and click on “Register” located below “First Time User? Click on “Register” to create an account” on the left side of the page. They may call the Provider Support Line at (866) 569-3522 for help with registering.

Starting April 11, 2022, providers that missed Reporting Period 1 due to extenuating circumstances will be able to submit their request for a late report through April 22, 2022. Then, the opportunity to complete the report will approximately start on May 9. The providers approved for late reporting will receive notification of the limited timeframe to complete the report at the email shared when they submitted their request for a late report. It will be a two-week opportunity to complete and submit the report, and there will be no option for extension to the communicated deadline. 

Providers should not return the PRF funds per the March 2022 letter from HRSA. HRSA will contact providers in the future on the return of funds if they do not submit a request for a late report or complete the required report. Until the required report is submitted, the provider remains out of compliance with the reporting requirement for Reporting Period 1, which will impact the provider's eligibility to receive additional PRF payments.
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