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Agenda - 05-17-2011- 5u
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Agenda - 05-17-2011- 5u
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5/13/2011 3:06:36 PM
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BOCC
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5/17/2011
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Regular Meeting
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Agenda
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5u
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Minutes 05-17-2011
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6 <br />The number of LMEs in the state has been reduced over the years from 41 <br />to 23. Given the current economic climate, LMEs have been encouraged <br />to continue consolidation efforts in order to create efficiencies and <br />savings. OPC is the fourth smallest LME in the state based on the <br />population of our three counties (227,963), so with the recent release of <br />the RFA and related legislation, it is no longer an option for OPC to remain <br />"as is". The minimum population threshold for LMEs will be increased to <br />300,000 by 7/1/12 and 500,000 by 7/1/13, and the number of LMEs in the <br />state will be reduced to 8-10. While we are very proud of OPC and its <br />accomplishments over the last 40+ years, we recognize that we will need <br />to change, and we have tried to be thoughtful and proactive in <br />considering our future options. <br />4. Will OPC still exist? <br />Yes, although we may look a little different in the future. <br />We are currently in discussions with PBH about what the local presence in <br />the OPC community will look like. OPC will most definitely still exist and will <br />be available to respond to the needs of the local community, although <br />our internal structure may look different than it does currently. <br />5. What is a waiver? <br />A waiver is an agreement between the state and Center for Medicaid <br />Services in Washington to be released from certain Medicaid rules. <br />In 1965, amendments to the Social Security Act (SSA) established the <br />Medicaid program. Under the Medicaid program each state establishes <br />its own eligibility standards, benefits packages, payment rates, and <br />program administration. There are two major types of serviced delivery <br />systems in Medicaid; fee for service and managed care. States wishing to <br />operate managed care service delivery systems must apply for a waiver <br />of certain Medicaid rules. The Social Security Act authorizes multiple <br />waiver and demonstration authorities which allows for flexibility at the <br />state level. Under Section 1915 (b) of the SSA, waivers are granted which <br />allow states to implement managed care delivery systems and restrict <br />consumer choice of providers. These specific waivers often target <br />individuals with mental health and substance abuse issues, although some <br />services are available for people with intellectual/developmental <br />disabilities (I/DD). Under Section 1915(c) of the SSA, waivers exist to <br />provide a continuum of services in the community to individuals who are <br />disabled. Presently North Carolina operates a 1915 (c) waiver for <br />individuals with I/DD referred to as the CAP-MR/DD program. States may <br />choose to simultaneously operate 1915 (b) and (c) waivers. <br />
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