Finding 3875 (2022-005)

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Requirement
N
Questioned Costs
-
Year
2022
Accepted
2023-12-11
Audit: 6120
Organization: Camcare Health Corporation (NJ)

AI Summary

  • Core Issue: Noncompliance with sliding fee discount application in 4 out of 40 patient records, affecting billing accuracy.
  • Impacted Requirements: Compliance with 42 CFR section 56.303(g)(2) regarding patient payment systems and financial screening.
  • Recommended Follow-Up: Management should review and enhance training on financial policies and implement regular audits of the billing process.

Finding Text

Finding #: 2022-005 Special Tests and Provisions – Noncompliance (not material to compliance requirement) Identification of Federal Program and Award Program title: U.S. Department of Health and Human Services (DHHS): Public Health Services Act, Title III, Section 330 (Health Center Cluster) CFDA #: 93.224/93.527 Award #: 17H80CS00172 Program Year: 2022 Criteria Pursuant to 42 CFR section 56.303(g)(2), health centers must make every reasonable effort, including the establishment of systems for eligibility determination, billing, and collection, to secure from patients, payments for services in accordance with the schedule of fees and discounts. Condition During our testing of special tests and provisions, we noted instances of noncompliance relating to the health center’s application of sliding fee discounts to patient charges; 4 out of 40 patient records sampled showed instances where patient charges were not appropriately adjusted to be consistent with the sliding fee discount schedule. Compliance testing was not able to be completed for 1 out of 40 patient records, as the sliding fee discount was applied to a patient visit for which the financial screening application process was not completed (no records of salary or family size were provided to support the scale rating, which also was not provided). Cause Personnel were not following CAMcare’s Financial Sliding Fee Scale Policies and Procedures, which comply with 42 CFR section 56.303(g)(2). Effect Possibility of draw down restriction being placed on Payment Management System (PMS) account or denial of future funding. Questioned Costs None Perspective Information We tested a statistically valid sample of 40 patient visits out of a total population of 250+ uncompensated care program visits and determined that the audit finding represented a systemic problem. Repeat Finding This finding is not a repeated finding. Recommendation We recommend that management review financial sliding fee scale policies and procedures in place and closely monitor the patient billing process to ensure CAMcare is in compliance with the compliance requirements of 42 CFR section 56.303(g)(2). Views of Responsible Officials Management recognizes the noncompliance; on November 29, 2023, CAMcare’s CEO, Jillian Hudspeth, and CFO, Christopher Bernardi, agreed with this finding, and explained that Management plans to offer additional training to the Financial Screening Department members and require the department manager to perform a periodic audit of applications.

Categories

Special Tests & Provisions Cash Management Eligibility HUD Housing Programs

Other Findings in this Audit

Programs in Audit

ALN Program Name Expenditures
93.527 Affordable Care Act (aca) Grants for New and Expanded Services Under the Health Center Program $3.52M
93.224 Consolidated Health Centers (community Health Centers, Migrant Health Centers, Health Care for the Homeless, and Public Housing Primary Care) $109,944