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Yes, we are comfortable with these changes.



Judy Giel
Chief Clinical Officer

Pediatric Home Service
2800 Cleveland Ave N
Roseville, MN 55113

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On Wed, Mar 14, 2018 at 8:32 AM, Kathy Messerli <kmesserli@mnhomecare.org> wrote:
 I need to respond to Kevin ASAP this morning. I’m on the road to a region meeting  ( and yes I stopped at a rest stop to send this email !!).  Feel free to respond via email or call my cell at 612-590-4180. 

Kathy Messerli
Executive Director
MN HomeCare Association

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From: Goodno, Kevin <KGoodno@fredlaw.com>
Sent: Wednesday, March 14, 2018 8:17:58 AM
To: Kathy Messerli
Cc: Simons, Anni
Subject: FW: Question for you
 

Kathy:

 

Can you get me feedback ASAP on the email below? This would be part of the House VA legislation.

 

Kevin

 

Kevin Goodno
Chair, Government Relations Practice
Fredri
kson & Byron, P.A.
200 South Sixth Street, Suite 4000
Minneapolis, MN 55402-1425
Direct Dial: 612.492.7348
Main Phone: 612.492.7000
Mobile Phone: 651.366.7421

Bio Web Link: http://www.fredlaw.com/our_people/kevin_p_goodno


**This is a transmission from the law firm of Fredrikson & Byron, P.A. and may contain information which is privileged, confidential, and protected by the attorney-client or attorney work product privileges. If you are not the addressee, note that any disclosure, copying, distribution, or use of the contents of this message is prohibited. If you have received this transmission in error, please destroy it and notify us immediately at our telephone number (612) 492-7000. The name and biographical data provided above are for informational purposes only and are not intended to be a signature or other indication of an intent by the sender to authenticate the contents of this electronic message.**

 

From: Jeremiah Wingstedt [mailto:Jeremiah.Wingstedt@house.mn]
Sent: Wednesday, March 14, 2018 8:08 AM
To: Goodno, Kevin
Subject: Question for you

 

Kevin,

 

We are working on an amendment to our aging bill (the language is attached), and we are looking at ways of addressing enforcement actions for nursing homes, home care providers, and other long-term care providers. We are looking at requiring corrective action plans to be submitted to the state and allowing immediate enforcement actions from OHFC in the most serious cases.

 

I've been told that home care providers already document corrective action plans internally but requiring submission to the state would be a new requirement for them. Would the home care providers be comfortable with this change?

 

As for the immediate enforcement, my current plan is to have OHFC report to the Legislature with recommendations of what should constitute a "serious violation of state law." Apparently, CMS already does mandate some immediate remedies for nursing homes, but again I'd expect that wouldn't apply to home care providers.

 

Let me know if you have concerns about either of these changes. I'd be happy to sit down with you for a bit after Aging subcommittee to discuss. Thanks!



Jeremiah Wingstedt

 

Research Consultant

Health and Human Services Finance and Reform

Subcommittee on Aging and Long-term Care

 

(651) 296-6860

 



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