Because the OASIS C database has become easier for you, Medicare has taken measures to ensure that 2017 offers some challenges in the way of OASIS C2. In turn, we have taken measure to ensure that you understand at the very minimum the three new questions. They come complete with their own conundrums, confusion and lots of reformatting and subtle shifts in definition. It’s not as simple as it seems but it certainly isn’t out of your range of capabilities.
Written by someone who is comforted by redundancy, MO1028 assesses (again) whether a patient has diabetes or peripheral vascular disease.
(M1028) Active Diagnoses– Comorbidities and Co-existing Conditions—Check all that apply
See the OASIS Guidance Manual or click here for a list of relevant ICD-10 codes.
- Peripheral Vascular Disease (PVD) or Peripheral Arterial Disease (PAD)
- Diabetes Mellitus (DM)
Additional guidance is not much different from coding conventions. The diagnoses must be documented in the medical records produced by the physician or NP.
Having the condition is not enough to win a checked box. The C2 manual states that the diagnosis must be active and the manual infers that ‘active’ means that there are orders written or monitoring of the disease process ongoing.
So, that’s two criteria –
- Does the patient have the condition and
- Is anyone watching it or writing orders for it.
Worth noting, if only for a laugh, the OASIS Guidance manual for the C2 dataset provides the following rationale for this question. We are not kidding.
Disease processes can have a significant adverse effect on an individual’s health status and quality of life.
Another new question is (GG0170C) Mobility. The question occupies an entire page in the manual and if you are like me, it may take you a while to understand what they are truly asking. Look the column in the body of the table to the very most right where it says something about the patient moving from a completely supine position to sitting on the side of the bed, feet flat on the floor with no backrest. Everything else on the page refers to that single activity.
The answer reflecting the greatest impairment is 01 and a patient who can complete the tasks independently gets a 06 score. Note that this is a new opportunity to make a careless error as the level of severity for every other question is reversed with 00 being the least impaired and the last possible response being the worst level of severity.
But there’s more. The dataset asks for a goal. If your patient is able to do this task at admission, it is not a problem. Your initial response and your goal will be the same. However, if some improvement is expected by the grace of your carefully crafted careplan, there will be a second response describing your patient’s expected ability upon discharge. Take your best shot and don’t fret about not being able to predict the future. It is true that all kinds of things can happen between admit/resumption of care and discharge but it is not reasonable to downgrade your goal in the event of a zombie attack. On the other hand, remember that you are not so good that you can take a person who is totally dependent following a cerebral vascular accident and have them independent at discharge.
Medicare wants to know the patient’s height and weight in M1060.
(M1060) Height and Weight—While measuring, if the number is X.1 – X.4 round down; X.5 or greater round up.
The Coders assume that you know how to round off numbers but Medicare does not and includes explicit instructions within the question.
Guidance for this question includes a helpful tip to measure your patient’s height and weight in accordance with the agency’s policies and procedures, which should reflect current standards of practice. So, how many of you have a policy addressing how to measure the height and weight of a patient?
Assuming that such a policy exists in your agency, is it based upon sound clinical practice standards? On your behalf, we have scoured the internet for practice standards for measuring height and weight and like the CDC Antropometry Procedures Manual. Sadly, the manual refers to the Integrated Survey Information System anthropometry computer application (ISIS). Do not be alarmed when you see this.
Also, when determining how height will be measured, plan on buying a stadiometer. This is the apparatus seen in Physician offices that measures height. Most of the affordable ones are wall mounted and we suggest that wall mounting is not recommended in your patient’s home environment. Also, note that anything with brightly colored giraffes and ruler-like markings cheering on big boys and girls is not likely to be received well by adult patients or meet the practice standards. Call your medical supply company and plan to spend about $150.00 per portable stadiometer.
There’s more – so much more but you have patients to see and notes to write. We are going to leave you with information about The Dash. This is not a simple dash as found in other places like a date or a social security number. According to Medicare,
a dash (–) value indicates that no information is available, and/or an item could not be assessed. This most often occurs when the patient is unexpectedly transferred, discharged or dies before assessment of the item could be completed. CMS expects dash use to be a rare occurrence.
This definition is consistent throughout the manual. When a dash value is an available option for questions, OASIS guidance generally indicates if the dash is a valid response.
For your convenience, we have uploaded some of these documents. Hopefully, you will read them and then fill us in. As always, we welcome your questions. Maybe we’ll even answer a couple.