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      • GAO 15-710: MEDICARE ADVANTAGE: Actions Needed to Enhance CMS Oversight of Provider Network Adequacy (Aug. 2015)
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Comments to the Feds on the Medicaid Institute of Mental Disease [IMD] Exclusion Rule 

We do not think one can responsibly look @ the Medicaid IMD Exclusion Rule in Isolation without reference to other services needed by people with intensive mental health needs.
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Photo Credit: photographypla.net
 
​ORCHID
favors repealing the IMD Rule --  BUT--
we're kidding ourselves [as we've been doing for sometime] if we think repealing the IMD RULE by itself is THE ANSWER.

Without a Comprehensive & Effectively Working Medicaid Mental Health Continuum of Care & Federal Administrative Enforcement of EXISTING LAWS -- repeal of the IMD Rule will be another cruel joke in Medicaid Mental Health Policy.

Opportunity for Comment to the FEDS:  Reforming the IMD RULE

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NAMI's Babu Mathew
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Dr. Lacey Berumen, Ph.D

​We're hoping that Gov. Polis' "Safety Net" Subcommittee of the Behavioral Health Task Force addresses the HUGE CHALLENGE of an Adequate Mental Health Continuum of Care within Colorado with a truly DIVERSE Group of Stakeholders.


NAMI Colorado Vice President & FaithNet Advisory Board Member Babu Mathew and NAMI National Board Member -- Colorado's own Dr. Lacey Berumen are getting the word out about an:

  • Opportunity for Public Comments on the Medicaid Institute for Mental Disease  Exclusionary Rule 

From the Letter to the right:

"As we develop our report to Congress, and to fulfill the requirement to seek input from stakeholders, MACPAC is interested in learning from interested parties about their views on the topics that the IMD ADDITIONAL INFO Act requires MACPAC to report on, including:

• state requirements, including certification, licensure and accreditation applied to IMDs seeking Medicaid payment and how states determine if requirements have been met;

• standards (e.g., quality standards, facility standards, and clinical standards) that IMD providers must meet in order to receive Medicaid payment and how the state determines if standards have been met;

• a description of IMDs receiving Medicaid payment including the number of these facilities, and the types of services provided; and

​ • a description of Medicaid funding authorities used to pay IMDs and any coverage limitations placed on the scope, duration or frequency of services provided in IMDs."

Comments are DUE May 31, 2019.  


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Click Here For More Info

​THE IMD RULE

The reality is there is a REASON for the IMD Rule --  it's to monetarily incentivize states to provide adequate mental health treatment in the Community.

       The only problem is it didn't work.  States didn't provide adequate bed space AND they didn't provide  adequate Intensive Community Mental Health Treatment -- and the ENFORCEMENT of Disability Civil Rights Laws has been INADEQUATE at best.

        Further, there are some pretty FUZZY ideas throughout State Medicaid Agencies and Diverse Advocacy Organizations & Individuals about:
  • What is needed for an ADEQUATE CONTINUUM OF CARE
  • What should be the criteria for Medicaid Residential Services
  • Assertive Community Treatment
  • Intensive Case Management
  • Peer Run Services 
  • Not to mention the need to catch up with the rest of world and institute the Finnish "Open Dialogue" MODEL which is indispensable given the SCIENTIFIC CHALLENGES RAISED by the National Institute of Mental Health  that the Mental Health Profession has NOT adequately addressed.  
How many beds we need is intimately tied to what Intensive Community Mental Health Services and Housing are available in the Community.

Orchid Proposes a Mash-Up

​Of the treatment Advocacy Center & Bazelon Positions on the Medicaid IMD EXCLUSion Rule

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Preface:  We're facing an EMERGENCY in which people with "mental illness" are experiencing IRREPARABLE HARM in the hundreds of thousands across the country, and thousands in Colorado and pretty much thousands in every state.

We believe the current Medicaid IMD Exclusion Rule is:
  • Discriminatory under the Americans with Disabilities Act & is in fact leading to the Incarceration & Great Risk of Institutionalization inherent in Homelessness
  • Discriminatory under the Mental Health Parity & Addiction Equity Act of 2008.

We also believe that it is impossible to adequately address this without also addressing the HUGE FAILURES in MEDICAID COMMUNITY MENTAL HEALTH.

These 2 issues:  IMD & Medicaid Community Mental Health MUST be addressed in TANDEM as part of an overall COMPREHENSIVE MEDICAID MENTAL HEALTH CONTINUUM OF CARE.

Further, Americans with Mental Illness are in DESPERATE need of FEDERAL ADMINISTRATIVE ENFORCEMENT OF EXISTING LAWS & REGULATIONS, including:
  • Medicaid Network Adequacy
  • Mental Health Parity & Addiction Equity, & 
  • ADA/Olmstead
Treatment Advocacy Center on Medicaid's IMD Exclusion Rule & Discrimination
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Bazelon on Medicaid's IMD Exclusion Rule -- Argument to Retain
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Orchid:  Email

Crisis Services in Colorado, the US & Around the World

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  • Home
    • About Orchid >
      • Why Orchid?
      • ORCHID'S SYSTEMIC FOCUS & "ROOT CAUSE" ANALYSIS APPROACH TO PROBLEM SOLVING WITH A COMMITMENT TO CREATIVITY & INNOVATION
      • Disclaimers, Limitations and An Invitation
      • Orchid Board
      • Orchid Book Club
      • Conjecture, Science & Translational Research & Medicine
      • Orchid Themes & Symbols
      • The Tipping Point
      • Orchid's Website Advertising Policy
      • Statement for Potential Website Contributors
      • Contact
  • Blogs
    • Val's Blog
    • Val's Blog 2
    • ​TRANSLATIONAL/ ​TRANSITIONAL JUSTICE MONDAY
    • NEURO-DIVERSITY Wednesday
    • Olmstead Law & Order Thursday
    • Translational Medicine Friday
    • Translational Love, Relationships & Neuro-Diversity Saturday
  • Orchid's A-Z Index
    • Crisis Services in CO, the US & Around the World
    • Assertive Community Treatment & Flexible ACT Index
    • Housing & Homelessness Index
    • Criminal Justice
    • Innovation Index
    • For More: See the Main Orchid Index Page
  • US Federal
    • THE IMD RULE & ADMIN. ENFORCEMENT OF DISABILITY CIVIL RIGHTS LAWS
    • Medicaid & Supportive Housing & Housing-Related Services
    • CMS' FAILURE TO COVER HOUSING FOR LTC & THE IMD RULE: WHAT THEY HAVE IN COMMON IS DISCRIMINATION
    • National Take
  • Research & Translational Medicine
    • Immunology & Mental Health >
      • Alcoholism & the Immune System & Mental Health
      • Brain Injury, the Immune System & Mental Health
      • Celiac Disease & Sensitivities, the Immune System & Mental Illness
      • Mental Illness & The Immune System
      • Racial Discrimination & the Immune System & Mental Health
      • Trauma & the Immune System & Mental Health
      • ***Physical Health Issues, the Immune System & Mental Health Index
    • University of Chicago: Institute of Translational Medicine
  • Hot Topics
    • What We Want --- SAMHSA Grant Opportunities Due Jan. 22, 2019
    • Anti-Social Personality Disorder >
      • DECONSTRUCTING ANTISOCIAL PERSONALITY DISORDER AND PSYCHOPATHY: A GUIDELINES-BASED APPROACH TO PREJUDICIAL PSYCHIATRIC LABELS [Hofstra Law Review 2013]
      • Personality Disorders -- Unscientific & Vague -- Must Be Reformed
    • Executive Functioning & "Prison Brain" >
      • Job Accommodation Network on Executive Functioning Deficits
    • Medicaid & Medicare Network Adequacy >
      • OIG: STATE STANDARDS FOR ACCESS TO CARE IN MEDICAID MANAGED CARE (Sept. 2014)
      • OIG: ACCESS TO CARE: PROVIDER AVAILABILITY IN MEDICAID MANAGED CARE (Dec. 2014)
      • GAO 15-710: MEDICARE ADVANTAGE: Actions Needed to Enhance CMS Oversight of Provider Network Adequacy (Aug. 2015)
      • CMS: Promoting Access in Medicaid and CHIP Managed Care: A Toolkit for Ensuring Provider Network Adequacy and Service Availability (April 2017)
    • Medicaid Mental Health & Substance Use Disorder Parity >
      • CMS Parity Compliance Toolkit Applying Mental Health and Substance Use Disorder Parity Requirements to Medicaid and Children’s Health Insurance Programs [Jan. 17, 2017]
      • Frequently Asked Questions: Mental Health and Substance Use Disorder Parity Final Rule for Medicaid and CHIP [CMS October 11, 2017]
    • Olmstead Disability Rights >
      • Statement of the Department of Justice on Enforcement of the Integration Mandate of Title II of the Americans with Disabilities Act and Olmstead v. L.C. (2011)
      • Comprehensive Olmstead Planning
      • the Logical Long Term Consequences of our failure to provide Intensive Community MH Treatment
      • Olmstead Nation ---State Pages: How Far to Comply with Olmstead?
  • Take A Walk Around Orchid's Resource Block
  • Colorado Abuse & Neglect Scandals Involving People with Disabilities
  • Mental Health By The Numbers
  • New Science Is Amazing AND It Has HUGE Moral Implications for Our Society: NOW
  • Olmstead & Homelessness
  • Double V
  • " 'Defund the Police" Means 'Invest in the Resources Our Communities Need' " or Don't Cost Shift to the Police
  • VAGUE OLMSTEAD PLANS, EXPENSIVE LITIGATION
  • Updating & Reforming our Understanding & Treatment of "Anti-Social Personality Disorder" Blog
  • Reform of " Anti-Social Personality Disorder" in Criminal Justice
  • CO HB22-1278
  • New Understandings Matter
  • Mental Health, Ethics & Law
  • CO Olmstead Disability Homeless Law & Policy Project
  • Inflammation, the Immune System, Neuro-Developmental Disorders, Psychiatric Disorders, Substance Use Issues & Chronic Disease
  • Microglia and the Brain's Immune System
  • Substance Issues & the Immune System