| Literature DB >> 33082924 |
Jennifer L Crockett1,2, Jessica L Becraft1,2, Sharon T Phillips1, Marguerite Wakeman1, Michael F Cataldo1,2,3.
Abstract
Survival often depends on behavior that can adapt to rapid changes in contingencies, which should be particularly well suited to a contingency-sensitive and data-based discipline such as applied behavior analysis (ABA). The speed and scale with which contingencies shifted in early March 2020 due to the effects of COVID-19 represent a textbook case for rapid adaptation with a direct impact on the survival of many types of enterprises. We describe here the impact, changes, and outcomes achieved by a large, multifaceted ABA clinical program that has (a) ongoing data that forecasted and tracked changes, (b) staff well practiced with data-based shifts in operations (behavior), and (c) up-to-date information (data) on policy and regulations. The results showed rapid shifts in client and staff behavior on a daily basis, shifts in services from in-person services to telehealth, and increases in volumes, revenue, and margins. We detail regulations and provide actionable steps that clinical organizations can take pertinent to this shift now and in the future. The challenges of the COVID-19 pandemic underscore the importance of maintaining robust coordination and communication across our field in order to address crises that affect our field. © Association for Behavior Analysis International 2020.Entities:
Keywords: Applied behavior analysis; Child problem behavior; Coronavirus; Service delivery; Telehealth
Year: 2020 PMID: 33082924 PMCID: PMC7561238 DOI: 10.1007/s40617-020-00499-8
Source DB: PubMed Journal: Behav Anal Pract ISSN: 1998-1929
Fig. 1Total weekly behavioral psychology outpatient appointments
Guidelines for telehealth service bbefore and after the COVID-19 pandemic
| Topic | Relevant guidelines | General considerations | Reimbursement considerations | Documentation considerations | Changes due to the COVID-19 pandemic |
|---|---|---|---|---|---|
| Consent | Ethics Code; HIPAA | There may be added risks associated with confidentiality and privacy that need to be included in consent procedures | No specific considerations | Signed consent to treat via telehealth | No change, but may not ever be physically face-to-face with client so consent may need to be virtual |
| Privacy | Ethics Code; HIPAA | Transmission and storage of PHI must be encrypted and secure | No specific considerations | Notice of privacy rights signed and acknowledged by client annually | Temporarily no HIPAA violations will be prosecuted; unclear how long it will be suspended |
| Platform and equipment (Providers) | Ethics Code; HIPAA; insurance regulations | Platform must be HIPAA-compliant and accessible for clients | Requires interactive audiovisual sessions; phone, e-mail, or asynchronous video may not be eligible for reimbursement | Type of telehealth service provided | Alternative formats such as phone calls and text messages are currently permissible and reimbursable but must be documented |
| Client access | Ethics Code | Consider how platform and equipment needs influence clients’ access to services; may consider providing access to necessary equipment | No specific considerations | No specific considerations | Access may be easier because standard telephone services are temporarily permissible |
| Originating and distant sites | Insurance regulations | Location of the client can impact eligibility for services | Facility-to-facility required; may require that client reside in a “rural” area | Originating site location and distance from provider | Restrictions on originating site have been lifted by insurance companies (home-to-facility are permitted) |
| Licensure and state restrictions | State licensure laws; Ethics Code | Professionals must be licensed to practice in the originating site state (i.e., where the client is located during telehealth services) | State licensure could affect reimbursement | License for each state (including temporary); continuing education and other requirements for license renewal | Some states waive licensure requirements, others provide temporary licensure, and others require providers to apply for licensure; in some states, telehealth is only permitted with established patients |
| Credentials or privileges | Insurance regulations | May need telehealth credentials or privileges to practice | Credentialing necessary for reimbursement | Credential or privilege details | Credentialing guidelines have relaxed |
| Provider training | Ethics Code | Must be competent with telehealth delivery model | May be required to become credentialed | Specific training requirements completed | Many more providers qualify for telehealth, but still need to ensure proper training and competence |
| Outcomes | Ethics Code; insurance regulations | Must demonstrate that telehealth is as effective as in-clinic services | Needed for continued reimbursement and/or preauthorization | Relevant outcome measures throughout service | No change |
| Emergency procedures | Ethics Code | If there is an emergency with the client, providers must be able to contact authorities in the client’s district (dialing 911 will contact authorities in the provider’s district) | None | Client’s address; authority contact information for client’s district | No change |
| Provider wellness | Ethics Code | Providers should maintain self-care and be aware of “Zoom fatigue” | None | None | That most providers working are from home has blurred lines between work and home |
Note. Guidelines refer to legal, ethical, or professional documents that provide rules or regulations regarding these topics. Ethics Code = includes both the American Psychological Association and the Behavior Analyst Certification Board professional ethics codes; HIPAA = Health Insurance Portability and Accountability Act; PHI = protected health information. Reimbursement considerations are based on what most third-party payers (e.g., health insurance) will reimburse. There are exceptions to some of these guidelines across states and insurance companies.
Specific actions that service providers can take to convert to telehealth
| Topic | Specific actions |
|---|---|
| Consent | 1. Verify that people providing consent are who they say they are (e.g., view their identification card). 2. Describe risks associated with confidentiality and privacy during consent. 3. Identify a HIPAA-compliant electronic signature service if first contact will be virtual. |
| Privacy | 1. Identify a HIPAA-compliant method of transmitting PHI to and from the client. 2. Ensure consent includes a discussion of privacy risks and procedures. 3. Ensure that the family is in a private area and/or permits others in the area to hear possible PHI. |
| Platform and equipment (Providers) | 1. Determine the requirements of insurance funders for telehealth services, which may require synchronous (live) audiovisual interaction. 2. Identify a HIPAA-compliant platform that meets requirements (may require a business associate agreement). 3. Obtain the necessary equipment based on the platform and insurance requirements for provider(s), which includes a secure (i.e., password-protected), Internet-enabled device with a webcam and microphone. 4. Obtain a headset for use in session to minimize privacy concerns and limit excess noise. |
| Client access | 1. Verify that the client has an Internet-enable device with a webcam and microphone, and if necessary, consider providing access. 2. Provide instructions on how to download or access the platform. 3. Provide guidelines and feedback on how to set up a therapy space at home (e.g., proper lighting, minimal distractions, chair, table). |
| Originating and distant sites | 1. Determine whether the client is eligible for reimbursement for telehealth. 2. If eligible, determine whether the client’s insurance company reimburses for facility-to-home telehealth. |
| Licensure and state restrictions | 1. Document the originating site for each client. 2. For out-of-state clients, review state licensure requirements for the originating site and check whether existing clients can continue via telehealth. 3. Determine whether temporary or full licensure in the originating site state is needed to provide services. |
| Credentials and privileges | 1. Follow insurance requirements for credentialing providers (may include a background check and update to liability insurance). 2. If part of a hospital or larger organization, check whether certain telehealth credentials or privileges are needed to practice. 3. Consider establishing a telehealth oversight committee to review and approve telehealth services in accordance with regulations. |
| Provider training | 1. Develop provider training for telehealth service delivery. 2. Evaluate provider competence (see the 3. Ensure providers can coach the client through telehealth setup. |
| Outcomes | 1. Continue data collection of clinical (e.g., rates of problem behavior) and operational (e.g., cancellations, costs) outcomes in a manner that is comparable to in-clinic data collection. 2. Identify a HIPAA-compliant way to administer surveys, questionnaires, or other measures, as needed. |
| Emergency procedures | 1. At the start of each telehealth session, document the client’s exact address. 2. Maintain an easily accessible list of authorities’ contact information in the client’s district that you can call in the event of an emergency. |
| Provider wellness | 1. Frequently check in with employees regarding their wellness/mental health. 2. Incorporate opportunities for employees to connect and experience positive events (e.g., virtual happy hours, more frequent supervisory contact). 3. Be sensitive to employees’ schedules and competing demands (may require flexibility with scheduling clients and adequate breaks in between clients). 4. Encourage self-care activities. |
| Documentation | 1. Incorporate necessary documentation for telehealth services into existing documentation procedures. 2. Ensure information such as the platform, service delivery method (e.g., synchronous video), originating site, and emergency procedures is easily accessible and properly reported to insurance. |
Note. HIPAA = Health Insurance Portability and Accountability Act; PHI = protected health information. These actions are based on ethical and legal guidelines and insurance regulations, as well as our experience in converting to telehealth.
Fig. 2Weekly outpatient appointments by clinic before, during, and after telehealth shift. For each clinic, weekly appointment attendance is separated into three bars (first = mean prior to March 16, second = week of March 16, and third = mean after March 23). Solid black indicates in-clinic appointments and stripes indicate telehealth. CFT = Child and Family Therapy Clinic; BMC = Behavior Management Clinic; PDD = Pediatric Development Disability Clinic; PPCS = Pediatric Psychology and Consultation Service; NBU-OP = Neurobehavioral Unit Outpatient; Feeding-OP = Outpatient Feeding Disorders Program
| Skill Observed by Supervisor | |
| 1. Positions the camera for optimal viewing with the therapist’s face centered in the screen. | |
| 2. Establishes eye contact by looking at the camera instead of the screen throughout the session. | |
| 3. Obtains verbal consent to treat via telehealth if a telehealth addendum was not signed (i.e., reviews confidentiality and privacy precautions). | |
4. Takes privacy precautions, including: • using earbuds rather than computer speakers; • scanning the room to show the family your setting/who is present (if relevant); • introducing supervisors who may be joining remotely; and • putting a sign on the door to ensure privacy/lack of interruption. | |
| 5. Asks the family who is present at their location and whether or not they have a parent’s permission to possibly hear PHI. | |
| 6. Obtains or verifies the client’s physical location and backup telephone number. | |
| 7. Takes any individual or cultural considerations into account and establishes a plan for adapting the session via telehealth to meet client needs. | |
| 8. Maintains a professional environment throughout the session (background, professional attire). |