SGIM-AMDA-AGS Consensus Best Practice Recommendations for Transitioning Patients’ Healthcare from Skilled Nursing Facilities to the Community
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We assembled a cross-cutting team of experts representing primary care physicians (PCPs), home care physicians, physicians who see patients in skilled nursing facilities (SNF physicians), skilled nursing facility medical directors, human factors engineers, transitional care researchers, geriatricians, internists, family practitioners, and three major organizations: AMDA, SGIM, and AGS. This work was sponsored through a grant from the Association of Subspecialty Physicians (ASP). Members of the team mapped the process of discharging patients from a skilled nursing facility into the community and subsequent care of their outpatient PCP. Four areas of process improvement were identified, building on the prior work of the AMDA Transitions of Care Committee and the experiences of the team members. The team identified issues and developed best practices perceived as feasible for SNF physician and PCP practices to accomplish. The goal of these consensus-based recommended best practices is to provide a safe and high-quality transition for patients moving between the care of their SNF physician and PCP.
KeywordsPrimary Care Provider Verbal Report Discharge Summary Care Transition Skilled Nursing Facility
While care transitions have become a target for reform efforts, our current understanding of how to optimize care transitions for patients remains incomplete.1 Transitional care is defined as a set of actions designed to ensure coordination and continuity of healthcare as patients transfer between different locations or different care levels within the same location.2 Much of transitional care research and improvement efforts have focused on the process of hospital discharge to home.3 – 6 The skilled nursing facility (SNF)-to-home transition is an equally important transition which has been largely neglected in the care transition discussions.7 Patients transferred from a hospital to an SNF and then home are at increased risk of complications because of multiple transitions (e.g., at least two transitions as opposed to directly home). Additionally, patients requiring SNF stay are generally more medically complex and thus at greatest risk for complicated care transitions.8 Over 1.5 million older adults aged ≥ 65 years receive care in a subacute SNF for rehabilitation and/or custodial care each year, and the use of SNFs for rehabilitation is increasing.9 , 10 With the average SNF stay per Medicare admission at 25.9 days, many hospital systems are being penalized for rehospitalization of patients who receive care at SNFs in the 30-day period post-hospital discharge.11 Research has shown that 24% of patients in SNFs were readmitted to a hospital within 30 days of discharge, costing Medicare $4.3 billion in 2006 alone.12 – 14 Beyond financial penalties, when a patient is transitioned, there are clinical complexities that fail to be transmitted between SNF physician and primary care provider (PCP).15 Primary care providers frequently have limited or no knowledge of what has happened to their patient while at the SNF. SNF physicians face barriers in identifying the correct PCP and transmitting information. Ultimately, the care of the older adult patient is jeopardized.16 In addition, there is significant variability in how often a patient in an SNF is seen by a medical provider. According to the Centers for Medicare & Medicaid Services (CMS), a provider must see a patient within 72 h of admission to an SNF, but only within 30 days thereafter. Some patients are seen daily or weekly by providers, while other patients may not be seen for weeks. Thus, a SNF physician may have only 1–2 visits with a patient in a SNF prior to discharge, leading to significant variability in the discharge process.
Policy Implications and Future Research
As our population ages, the number of transitions of care from SNF to home will increase significantly. CMS has acknowledged this, and in their proposed rule, Reform of Requirements for Long-Term Care Facilities (§ 483.20), recommend that in addition to documentation of the transition and/or discharge from nursing facilities, specific patient information be exchanged with the receiving provider (e.g., PCP).17 However, they do not further specify how the communication should occur or require a specific format. Adoption of the recommendations listed below will potentially provide a foundation for requirements that facilities must meet as part of CMS’s conditions of participation. In addition, these recommendations provide clinicians and health services researchers a unique opportunity to further study how these best practices impact clinical care and can effectively be implemented.
Issue #1: The PCP does not realize that the patient is admitted to the SNF.
SNF physician: Identify the correct community PCP.
PCP: Confirm and update PCP information and fields in charts.
When patients are transitioned from hospital to SNF, hospital records may list an incorrect PCP or may not reference a PCP at all. As a result, on discharge from the SNF, the SNF discharge information may be sent to the incorrect PCP’s office, and patients may be instructed to follow up with a PCP whom they have not seen or no longer see. Research has shown that about 20 % of patients receiving care in an SNF indicated having no PCP, and another 20 % provided an unusable name (e.g., not found in any directory or license was expired).18 , 19 It is our recommendation that upon admission to an SNF, all possible measures be taken to identify the correct PCP. Multiple SNF personnel can work to identify the PCP. The admissions coordinator, admitting floor nurse, case manager, or SNF Physician can speak directly to the patient or family to confirm the PCP upon admission. In some scenarios, a patient may see multiple PCPs or may be transitioning between PCPs, which is not ideal but does occur (e.g., patient seeing a Veterans Administration (VA) PCP for medications and a non-VA PCP for preventive care). SNF staff may find it beneficial to ask the patient or family which PCP they would like to have updated on their care and follow-up with at discharge, similar to a “point person” in discussions with multiple family members. In cases where the patient does not have a PCP, discovering the lack of PCP on admission would allow time for SNF staff to identify a potential PCP or community clinic provider during the SNF admission, to ensure appropriate follow-up on discharge.
Correspondingly, PCPs can assist in the identification of patients. From a PCP viewpoint, PCPs who use electronic medical records may delay updating the primary provider field due to time constraints when seeing a new patient. Annually, PCPs may consider obtaining a list of their patients who identify them as PCPs and confirm this information. Staff may be able to review lists using the criterion that patients have been seen within an allotted time frame (e.g., last 2 years). The goal is to enable identification of the correct PCP or to establish care with a new PCP so that patients have adequate follow-up after discharge from an SNF.
Issue #2: Delay or lack of patient follow-up with PCP after SNF discharge.
SNF physician: Schedule a follow-up appointment with the PCP within 7 days post-discharge from SNF.
PCP: Expedite scheduling of patients being discharged from a SNF.
The timing of the follow-up appointment is important. Evidence has shown that patients who follow up promptly with their PCPs after a hospitalization have improved outcomes, including fewer medication errors.20 – 23 In an effort to reduce length of stay (LOS) and adverse events in the hospital, SNF physicians are being asked to provide care for more acutely ill patients.24 Essentially, SNFs are becoming step-down hospitals. As complexity of care increases in the SNF, the majority of patients being discharged from an SNF need the same close follow-up as those discharged from a hospital. We recognize that some may argue that certain patients may not require close follow-up (e.g., elective joint replacement). It is our belief that close follow-up of patient status post-joint replacement is warranted for eliminating unnecessary medications, for medication reconciliation (especially with formulary differences) and management of pain, and for reducing the number of emergency department visits. Similar to expedited appointments for patients discharged from hospitals,25 patients being discharged from SNFs need to have appointments expedited. Instructions should be given to office staff that patients being discharged from SNFs should be scheduled within 7 days of discharge, and for some patients it may be even sooner. Protocols for situations in which PCPs have limited or no availability should be developed according to personal practice preferences (e.g., seeing alternate providers, overbooking).
Issue #3: The PCP does not receive information pertaining to the patient's care at the SNF or recommended follow-up.
SNF physician: Transmit discharge instructions to the PCP office at time of patient discharge from the SNF and a formal discharge summary to the PCP prior to the follow-up appointment or within 72 hours of discharge from SNF, whichever comes first.
PCP: Read, follow-up, and include information from the SNF physician in the outpatient medical record.
Regardless of practice location, providers require accurate and timely data in order to provide high-quality patient care.26 A concise discharge summary from the SNF Physician is an integral component in a PCP’s ability to provide optimal care to patients. AMDA has developed a table of key elements for a discharge summary, which is available online.27 In addition, the inclusion of the contact information for the SNF Physician and knowledgeable SNF staff would be useful in the event that further questions arise.
In addition to completion of the discharge summary, delivery of the discharge summary to the PCP is vital. Research has shown that hospital discharge summaries are available at only 12 to 34 % of post-discharge physician visits, and there is little reason to expect higher rates from SNF discharges.28 Oftentimes, issues arise between the moment the patient is discharged from the SNF and when the discharge summary is completed. Patient discharge instructions can provide information to the PCP on medications that were prescribed, home health instructions, and follow-up information. Having even this information available when a patient or family member calls can be useful in caring for the patient. Options for delivery can include faxing to the PCP office and electronic delivery through a secure EHR or server. A common practice in the SNF is to give the discharge instructions to the resident or family, with directions to share it with the PCP at the time of their follow-up appointment. This method should be considered mainly as a backup to the other direct delivery methods, with the understanding that it may be less effective for frail or cognitively impaired patients, since they may not reliably remember to take the discharge forms to their appointment.
SNF physician: Verbal report given by SNF nurse and/or physician.
PCP: Prepare outpatient staff for reception of verbal report from SNF staff.
When patients are transferred between settings (e.g., hospital to SNF, hospital floor to ICU), it is routine practice for nurses and/or physicians to “give report” to the receiving parallel nurses and/or PCPs. As patients are transferred from SNF to PCP care, it would be feasible to have the SNF nurse contact the PCP nurse or care manager to give report as standard practice. With patients who are medically complex, it is reasonable for the SNF physician to attempt to contact the PCP directly (a “warm handoff” or “warm hand-over”). This verbal report enables communication of critical information, follow-up needs, care plans, and questions/answers to be transferred. When information is being transmitted during the nurse-to-nurse handoff, the outpatient nurse may need to be primed to anticipate calls from SNF nursing staff and trained on what to do with the information received. PCPs may need to discuss protocols on handling the SNF verbal report. It is useful to enter this verbal report into the patient’s medical record as: (1) time and date call occurred, (2) contact information of caller/SNF site, (3) pertinent information received such as medications changed, and (4) follow-up expectations (e.g., labs, appointments needed).
Issue #4: Upon return home, patient has remaining questions, faces inaccurate medication reconciliation (e.g., returns to outpatient medication list), or does not receive vital services (e.g., DME, home health, therapy).
SNF physician and PCP: Ensure patient receives a phone call within 48 hours following SNF discharge.
There are multiple programs in effect that utilize a 48-h post-SNF discharge telephone contact.29 SNF staff may already call patients for satisfaction surveys and to answer any questions that may have arisen. Home health nursing may contact patients during this time to establish visit times. PCP offices may contact patients to fulfill the requirements of transitional code billing. A concern from our expert group was that many parties are contacting patients, which may be frustrating or confusing, although this concern was tempered by the consideration that issues would be uncovered sooner and would not fall through the cracks. It was the consensus of the group that upon discharge, the SNF staff member who explained the discharge instructions (e.g., touched the patient last) and knew the patient would be the ideal person to perform the phone call. This may be a nurse, social worker, case manager, or discharge coordinator at the SNF. There should also be a backup system in the event that the person initiating the phone call is unavailable (e.g., nurse unavailable at the time of discharge).
For PCPs interested in performing the call, the transitional code for billing may help support the staff time. The phone call should be an expectation for patients. Prior to the patient leaving the SNF and when explaining the discharge instructions, SNF staff may find it helpful to arrange for a time to call the patient and to convey the “appointment time” for the phone call. The contents of the phone call may vary, but at a minimum should check that medications were obtained, assess for changes in symptoms, ascertain that services were received, and field questions that may have arisen on the transition home.
SNF–PCP Transitional Care Issues and Best Practice Process Improvement Recommendations
SNF–PCP Transition Issue
Best Practice Recommendations
Issue #1: PCP does not realize that patient is admitted to SNF.
Identify the correct community PCP and include identity in SNF chart.
Confirm and update PCP information and fields in charts.
Issue #2: Patient does not follow up or delays follow-up with PCP after SNF discharge.
Schedule a follow-up appointment with PCP within 7 days post-discharge from SNF.
Expedite scheduling of patients being discharged from an SNF.
Issue #3: Information on care received at SNF and future necessary follow-up is not received by PCP and outpatient team.
Transmit discharge instructions to the PCP office at time of patient discharge and a formal discharge summary within 72 h of discharge.
Read, follow up, and include information from the SNF physician in the outpatient patient record.
Verbal report is given by SNF nurse and/or physician.
Prepare outpatient staff for receipt of verbal report from SNF staff.
Issue #4: Upon return home, patient has questions, faces inaccurate medication reconciliation, or does not receive vital services.
Ensure patient receives a phone call 48 h following SNF discharge.
The development of this manuscript was supported by the Society of General Internal Medicine and grant funding from the Association of Subspecialty Physicians. The SGIM Council, AMDA, and AGS have reviewed this manuscript and support the statements and recommendations. We appreciate the assistance of Kay Ovington, Leslie Dunne, and Shana Donchatz in this project. These consensus best practice recommendations were presented at the 2016 annual meetings of AMDA, AGS, and SGIM.
Compliance with ethical standards
Conflict of interest
The authors declare no conflicts of interest.
- 9.Skilled Nursing Facility Services – Centers for Medicare and Medicaid Services. http://medpac.gov/documents/reports/chapter-8-skilled-nursing-facility-services-(march-2015-report).pdf. Accessed July 18, 2016.
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