Updated Guidance BDDS Providers Temp Policy Changes
Updated Guidance BDDS Providers Temp Policy Changes
Indiana’s Appendix K: Emergency Preparedness and Response waiver amendments to the Family Supports Waiver (FSW)
and the Community Integration and Habilitation Waiver (CIH) was approved by the Centers for Medicare and Medicaid
Services (CMS) with effective dates of March 1, 2020 through August 31, 2020.
The Indiana Division of Disability and Rehabilitative Services and Bureau of Developmental Disabilities Services has
submitted updated Appendix K waiver amendment flexibilities for the FSW and CIH waivers with an effective date of
September 1, 2020.
In advance of CMS’ final approval on updated Appendix K waiver amendments, BDDS is implementing the following
guidance and temporary changes to help mitigate any disruption the public health emergency is anticipated to have
on standard modes and methods for service delivery to BDDS participants. The updated temporary policy changes are
effective retroactively to dates of service on or after September 1, 2020. These temporary changes will remain in effect
through at least December 31, 2020, including a small period after to allow the system to transition to pre-COVID-19
operations.
This updated guidance is effective as of September 1, 2020 with the implementation of updated Appendix K flexibilities.
Any changes to impacted service flexibility areas in this guidance are noted in red.
Providers should e-mail the following details to either their Local District Manager or to [Link]@[Link]:
Please note - once you begin the form, you may not save and return to it. With this in mind, please be sure to gather
the information referenced above prior to initiation. Assuming you have ready access to the information described
above, the form should take no more than 15 minutes to complete.
• Incidents related to alleged abuse, neglect or exploitation must still be reported within 24 hours from incident
occurrence or point reporter becomes aware of occurrence.
• BDDS is requesting incident reports be filed within 24 hours when a participant tests positive for COVID, when
the participant’s healthcare provider indicates that the individual is presumed COVID positive.
Incident reports are not required when a person has symptoms of COVID-19, unless another incident report category
applies (such as an emergency intervention or event with the potential for causing significant harm or injury and
requiring medical or psychiatric treatments or services).
Incident reports are not required for COVID-19 related service/site closures/suspensions, visitor restrictions, quarantine
measures without a COVID-19 positive test, or other changes in service delivery. Even though these are not required to
be reported as incident reports, BDDS and BQIS are requiring providers to inform and update everyone who is a part of
the individualized support team of any situation involving an individual, including quarantine measures, restrictions, etc.,
as well as document all changes.
Please continue to submit IRs as appropriate for non-related COVID-19 incidents using these modified timelines.
The order requires all congregate residential settings supported by BDDS to report the following within 24 hours:
• Any resident who tests positive for COVID-19;
• Any employee who tests positive for COVID-19;
• Any confirmed positive COVID-19 related death OR suspected COVID-19 related death
of an individual; and
• Any confirmed positive COVID-19 related death OR suspected COVID-19 related death
of an employee.
Providers shall continue using BDDS’s Incident Management System to report COVID-19 individual information.
BDDS is requiring congregate residential providers to submit the following additional information through the
traditional online incident reporting system (found here BDDS Reportable Incident website).
The incident report shall include all the information you are normally required to report, in addition to the
information below that can be included in the narrative of the incident report. BDDS will then take the lead in
collecting the reported information that was filed in the incident reporting system and import it daily into the ISDH
online form.
• Total number of individuals living in the home.
• Total number of staff working in the individual’s home.
• Did the individual have any symptoms during their illness? (Yes, No, Unknown)
• Did the individual have a chest x-ray? (Yes, No, Unknown)
• What type of specimens were collected, if known? (e.g. NP Swab, OP Swab, Sputum, Other)
• For confirmed positive cases, what was the date the COVID-19 specimen was collected, if known?
• What was the symptom resolution date?
o If symptoms have not resolved, indicate such.
• Was/is the patient hospitalized for this illness? (Yes, No, Unknown)
Providers must also report information about an employee. Providers should not use the BDDS Incident
Management System to report employee cases. Rather, to report COVID-19 employee-specific information,
providers shall using our online COVID-19 Employee Reporting Form.
Additional guidance for businesses and employees that builds on the Executive Order is available at
[Link]
Additional guidance and resources for day service providers and case managers is located on the DDRS COVID-19 web
page.
BDDS Provider COVID-19 Policy Guidance, as of 09/01/20 5
GUIDANCE FOR VISITORS
As Indiana begins to take steps to get “Back on Track”, the Division of Disability and Rehabilitative Services, in
partnership with the Indiana State Department of Health, are providing the following updated guidance for visitor and
other restrictions impacting ICF/IDD and other congregate residential settings.
recognize and accommodate the wide variety of circumstances experienced by individuals residing in these
settings,
help prevent the spread of COVID-19 and keep people safe, and
empower person-centered decision-making for self-advocates, families, case managers, and providers.
With this in mind, providers are empowered to determine whether and to what extent to apply restrictions similar to
those being utilized in nursing facility settings for visitors; attendance at work and/or day program; and other activities
(including travel) outside the home on a setting by setting basis. This allows appropriate application of restrictions based
on the needs and circumstances of the individuals living in the setting. It also helps to avoid the application of blanket
restrictions that may be overly broad and restrictive.
Individuals residing in the setting should be engaged in discussions related to making these determinations to
the greatest extent possible. These settings are their homes and these individuals should have the support,
information, and resources needed for them to be an active decision-maker in the discussion.
If individuals residing in the setting (and/or their families and guardians) do not agree on restrictions on visitors,
all individuals’ support teams should convene as a group to discuss and make these determinations.
If the majority of individuals in a setting are in the CDC’s high risk category (e.g., age> 65 and/or people who
have severe underlying medical conditions like heart or lung disease or diabetes), the setting should follow
restrictions similar to those being utilized in nursing facility settings -
[Link]
If there are active cases of COVID-19 in the setting (involving staff or individuals) restrictions on visitation should
be considered to prevent community spread. In addition, measures should be implemented to mitigate how
many homes staff work in to decrease spread across settings. If staff work in a COVID positive home consider
having staff only work in that home. Also, providers should encourage any staff who have additional
employment outside your agency to notify their other employers regarding exposure.
For all settings, policies and procedures should be in place that describe how to:
o Keep individuals, their families, and staff informed of your agencies plans for addressing COVID related
needs.
o Keep individuals, their families, other providers, and staff informed of the COVID status in the home. All
should be informed if there are new COVID positive or presumed positive cases. This communication
should include actions that are being taken to prevent further spread of COVID-19 and how to reach a
staff person if they have questions.
o Document any outside visitors to the home (including the date of visit, visitor name, and visitor contact
information). Any visitor who was present in the home within 48 hours of when an individual or staff
who is confirmed COVID positive was tested, or who was present in the home within 48 hours of a staff
or resident developing symptoms that are confirmed or presumed to be from COVID-19 should be
notified of the possible exposure, as soon as possible.
o Monitor individuals, staff, and visitors (when it is determined that visitors are permissible in the setting)
for symptoms of COVID-19 including fever, respiratory, or other symptoms like loss of taste and smell.
Providers should also consider adding questions about whether the individuals, staff, and visitors live
The guiding principles outlined in the “Guidance for Visitors” above also apply to this guidance. With this in mind,
providers are empowered to determine whether and to what extent to apply restrictions similar to those being utilized
in nursing facility settings for attendance at work and/or day program and other activities (including travel) outside the
home on a setting by setting basis. This allows appropriate application of restrictions based on the needs and
circumstances of the individuals living in the setting. It also helps to avoid the application of blanket restrictions that
may be overly broad and restrictive.
In accordance with the restrictions being utilized in nursing facility settings for voluntary leaves or activities outside the
facility, providers should consider the following:
If there are active cases of COVID-19 in the setting (involving staff or individuals) restrictions on activities outside
the home and leaves should be considered to prevent community spread.
When participating in activities outside the home, individuals should take precautions with social distancing,
hand hygiene, and wearing face coverings. These individuals do not require transmission based
precautions upon their return but should be monitored for symptoms.
All providers should strongly discourage activities and leaves (including travel) outside the home of any length,
when hand hygiene, face covering, and social distancing requirements will not be followed; or when the
activities or leave will occur in Indiana counties or states where COVID-19 positive cases are increasing. Such
activities and leaves create increased risks of COVID-19 exposure to the individuals who leave and return, as well
as others having contact with the returning individual.
If an individual (including family and legal guardians) participates in activities outside the
home or leaves from the home lasting more than one day (including travel), without following all precautions for
infection control (i.e. social distancing of at least six (6) feet, face coverings, and hand hygiene), and the provider
has a reasonable basis for concluding the individual will pose a COVID-19 exposure risk if allowed back in the
home, the provider may ask the individual to quarantine with their family for 14 days and test negative for
COVID-19 prior to returning.
• In general, PPE should be used conservatively and reuse if possible. The CDC offers several resources for
optimizing PPE, including:
• The CDC has published frequently asked questions relative to PPE which is located here -
[Link]
• The CDC has provided guidelines for donning and doffing PPE. It is important for Health Care Providers (HCP) to
perform hand hygiene before and after removing PPE. Hand hygiene should be performed by using alcohol-
based hand sanitizer that contains 60-95% alcohol or washing hands with soap and water for at least 20
seconds. If hands are visibly soiled, soap and water should be used before returning to alcohol-based hand
sanitizer.
• In considering your agency’s PPE needs, providers may want to consider using the CDC’s PPE Burn Rate
Calculator to determine your agencies average PPE consumption rate - [Link]
ncov/hcp/ppe-strategy/[Link]
The guiding principles behind this updated policy guidance are to:
recognize and accommodate the wide variety of circumstances experienced by individuals residing in these
settings,
help prevent the spread of COVID-19 and keep people safe, and
empower person-centered decision-making for self-advocates, families, case managers, and providers.
With this in mind, providers are empowered to develop and implement a plan for supporting safe in-person visits for
individuals considering placement and for accepting new admissions. In developing such a plan, providers should
consider the specific needs, health considerations and risk factors of the individuals currently residing in the home, as
When a visit and/or admission is being considered, the IDT, including BDDS Service Coordinator, should be actively
communicating regarding the individual being considered, the home, considerations for why the visit and/or admission
should move forward, and what precautions are being made to ensure the safety of all involved. If the individual and
their family/guardian wish to move forward with a visit and possible move to the home, the IDT should discuss and
determine an appropriate, individualized transition plan.
In developing their plan and in making these determinations, providers should consider the following:
If the majority of individuals in a setting are in the CDC’s high risk category (e.g., age> 65 and/or people who
have severe underlying medical conditions like heart or lung disease or diabetes), the setting should follow
restrictions similar to those being utilized in nursing facility settings -
[Link]
If there are active cases of COVID-19 in the setting (involving staff or individuals) restrictions on visitation should
be considered to prevent community spread.
Each home should continue to actively screen all individuals, staff, and visitors for symptoms of COVID-19
including fever, respiratory, or other symptoms like loss of taste and smell. Providers should also consider
adding questions about whether the individuals, staff, and visitors live with a current COVID positive individuals.
Visitors or staff with symptoms should be restricted from entry
All visitors entering the home should have a facemask and additional precautions such as hand hygiene and
social distancing should be expected.
Prior to visits occurring, providers should share and discuss with individuals and families their current
policies/procedures and expectations of staff, individuals, families and visitors to the home, including:
o PPE guidelines,
o Strategies in place for infection control practices – cleaning of spaces, frequently touched areas,
handwashing, wearing masks and social distancing.
o Strategies for notifying the individual and family if they were exposed to a COVID positive individual
during their visit.
Ensuring that their plans are developed and implemented consistent with federal, state, and local authorities,
including specific guidance issued by the Bureau of Developmental Disabilities Services.
2. Prior to hire, a county-level criminal history check must be completed for each county in which the potential staff
resided and worked in the three years prior to the date of the criminal history check.
3. BDDS will temporarily waive the requirement for a provider to conduct a tuberculosis (TB) test on potential staff
prior to hire. BDDS will instead require that new staff and existing staff whose annual screening is due shall be
screened for tuberculosis within one hundred and eighty (180) days of hire and/or the expiration of their annual
screening.
The temporary essential training will be authorized only while the Executive Order remains in effect, plus any
additional time afterward that FSSA deems necessary to facilitate providers’ orderly resumption of normal staffing.
Providers have 60 calendar days from the date of hire for DSPs to complete the remaining required trainings as
outlined in 460.
Documentation that they were employed by another BDDS approved provider within the last six (6)
months; and
Documentation from that BDDS approved provider for each training topic satisfactorily completed by
the staff.
For additional details and guidance, please review the Temporary DSP Essential Training outline.
5. BDDS will continue to accept documentation of successfully completed cardio-pulmonary resuscitation and/or First
Aid. In addition, BDDS will temporarily allow DSPs to continue working ninety (90) days past the expiration of their
CPR/First Aid. The hands-on component of training is not required. Online training is acceptable at this time. DSPs
completing CPR certification during COVID will need to complete the hands-on component, when it is safe and
appropriate to do so.
• Appropriate consent from the member must be obtained by the provider prior to delivering services.
• Documentation must be maintained by the provider to substantiate the services provided and that consent was
obtained.
• Documentation must indicate that the services were rendered via telemedicine, clearly identify the location of
the provider and individual, and be available for post-payment review.
• The provider and/or individual may be located in their home(s) during the time of these services.
• Telemedicine services may be provided using any technology that allows for real-time, interactive consultation
between the provider and the individual.
• This includes, but is not limited to, the use of computers, phones, or television monitors. This policy includes
voice-only communication, but does not include the use of non-voice communication such as emails or text
messages.
Providers are encouraged to refer to IHCP Bulletin BT202022 issued on March 19 for additional details. In addition,
providers should utilize updated guidance from the Office of Civil Rights regarding HIPAA compliant telemedicine
options available here - [Link]
preparedness/notification-enforcement-discretion-telemedicine/[Link].
Under this guidance, the following Home and Community Based services, when appropriate during the public health
emergency and at the request of the individual and/or legal guardian, could be explored and utilized as telemedicine
options:
– Case Management
– Behavior Management
– Therapies, including PT, OT, Speech, Psychological, Music, and Recreational
– Extended Services
– Wellness Coordination
– Family and Caregiver Training
Providers of these services are essential workers therefore when necessary and when typical precautions can be
observed, appropriate face to face meetings should occur. The delivery of these services via telemedicine should be at
the direction and request of the individual and/or guardian.
The PCISP and/or CCB DOES NOT need to be updated in order to deliver services via telemedicine. The key issue is to
ensure documentation is consistent with OMPP and BDDS Guidance.
For all other HCBS services, telemedicine should be a last resort option, only with individuals who need only verbal
prompting and guidance, and must relate to an individualized need or interest. When utilized, some element of the
underlying service definition must be provided and documented.
Remote Supports are available on the CIH and FS waivers and should be explored as an alternative option, as
appropriate.
In addition, under this guidance, certain ICF/IID service elements, when appropriate, should be explored and utilized as
telemedicine options, including behavior management, nursing support, and psychiatric support. Please note, that while
the following service elements are not billed separately from the established ICF/IID per diem, providers are still
encouraged to note the use of telemedicine when documenting delivery of these service elements.
In addition, BDDS will temporarily allow BMRs to be filed within 60 calendar days of the event or status change. This
submission extension from 45 to 60 calendar days is in effect until further notice.
Teams are encouraged to consider the flexibilities being provided under Appendix K and described in this memo when
supporting individuals in developing alternate support options.
BDDS is working on additional system changes to allow for streamlined BMR submission process, as these changes are
implemented this guidance will be updated.
If the living arrangement change is expected to be a permanent change, the case manager must ensure the individual’s
living arrangement is updated.
Changes to Person-Centered Individualized Support Plan (PC/ISP) timelines
Person-Centered Support Plans that are due to expire within the next 60 days require case management contact to the
participant using allowable remote contact methods to verify with the participant or representative that the current
assessment and services, including providers, remain acceptable and approvable for the upcoming year. The state will
verify by obtaining electronic signatures/or electronic verification via secure email consent from service providers and
the individual or representative in accordance with the state’s HIPAA requirements.
The state will ensure the support plan is modified to allow for additional supports and/or services to respond to the
COVID-19 pandemic. The specificity of such services including amount, duration, and scope will be appended as soon as
possible to ensure that the specific service is delineated accordingly to the date it began to be received. The case
manager must submit the request for additional supports/services no later than 30 days from the date the service
begins.
2. BDDS will extend annual LOC assessments that are due on or before June 30, 2020 to have a new due date of
December 31, 2020.
3. BDDS will temporarily waive the requirement for a Confirmation of Diagnosis to complete Level of Care for re-
entries to waiver services.
Providers delivering services through telemedicine must continue to abide by service standards and limitations,
including the requirement that Extended Services be delivered only when the individual is employed in competitive,
integrated employment. Extended Services do not include sheltered work or other similar types of vocational services
furnished in specialized facilities or volunteer endeavors.
Virtual interaction with supervisors and staff to develop and secure natural supports at the worksite (including
any remote work setting).
Virtual check-in with participant, employer and/or supervisor on current job and training needs.
Virtual training for the participant, employer, supervisor and/or coworkers, to increase the participant’s
inclusion at the worksite (including any remote work setting).
Audio-video observation, if feasible, of the participant to reinforce or stabilize the job placement (including any
remote work setting).
Virtual safety or self-advocacy training that is job-specific and tailored to an individual participant.
Virtual job-related safety or self-advocacy training to individuals or groups.
Virtual coaching/training to individuals or groups on:
o New skills and related needs to successfully transition to a remote work setting.
o Reinforcement of work-related personal care and social skills.
o Use of public transportation.
o Job-related tasks, such as computer skills or other job-specific tasks.
In the event an individual is placed on temporary leave from their employer due to a COVID-19 related circumstance,
Extended Services may continue to be delivered via telemedicine to the extent they are meaningful and contribute to
ongoing job-specific goals or readiness of the participant to resume work with their current employer once public health
emergency restrictions are lifted.
3. BDDS will temporarily expand settings where Prevocational Services and Adult Day Services may be provided.
Prevocational Services and Adult Day Services may be temporarily provided at a facility-based day program, the
home of the participant, an Intermediate Care Facilities for Individuals with Intellectual Disabilities (ICF/IID), or, upon
approval from the participant’s team, the home of a direct support professional. The alternate service delivery
setting must be accessible to the participant and ensure the participant’s health and safety to the fullest extent
possible. The alternate service delivery in an ICF setting may not exceed thirty (30) days for each participant.
4. BDDS will temporarily expand settings where Structured Family Caregiving (SFC) may be provided. If the support for
a participant’s Residential Habilitation and Support (RHS) setting is compromised due to COVID-19 related reasons
and a direct support staff is residing in the home to ensure continuity of care, BDDS will temporarily allow the RHS
setting to be converted to a SFC setting and be provided in the participant’s home. This is not a requirement in cases
where a direct support staff is temporarily residing in an individual’s home, but rather an option for the team to
consider, particularly if it is anticipated that direct staff will be residing in the home for longer than 30 days.
5. In unique and rare situations, the home of a direct service professional familiar to the individual may be used as a
temporary/alternate waiver residential setting for a participant when the participant’s primary caregiver has been
diagnosed with or quarantined due to COVID-19.
To utilize this option:
The setting must be designated as a Structured Family Caregiving setting.
Prior to relocating the individual, the participant’s support team must approve of the temporary/alternate
residential setting. The case manager must obtain and document approval from each team member through
one of the following methods:
o Utilize a telephone call or virtual meeting with the individual’s team. The case manager would
document on a pick list: the date of the call/meeting, the method of contact, each team member
participating and each team member’s approval. Once all approval is obtained, the case manager
would handwrite on the pick list the individual’s provider selection, the individual/guardian’s name
followed by their initials, and the date.
o Utilize an email with the individual’s team. The case manager would document on a pick list: the date
of the initial email, the method of contact, each team member response and each team member’s
response date. Once all approval is obtained, the case manager would handwrite on the pick list the
individual’s provider selection, the individual/guardian’s name followed by their initials, and the date.
The case manager will submit an emergency transition that references COVID-19 with the support team’s
approval within seven (7) days of relocating the individual to the alternate residential setting.
BDDS Provider COVID-19 Policy Guidance, as of 09/01/20 14
The alternate service delivery setting may not exceed sixty (60) days for each individual.
Increased payment flexibilities for allowable family caregivers
The flexibilities allowed under Appendix K for families as caregivers must be utilized in response to a COVID-19 related
need that creates a temporary, immediate need for intervention and response to ensure an individual’s health and
safety. In addition, these flexibilities must be utilized within the individual’s existing budget.
Families and individuals should work with their case manager and team to determine if their current situation falls
within the necessary criteria of Appendix K to access any of these flexibilities. The following questions should be
considered in making this decision:
1) Is the disruption in current services due to the individual receiving services and/or current direct support
professional having a positive test for COVID-19 or confirmed exposure of COVID-19 which creates an immediate
need for intervention and response to ensure their health, safety and well-being? (Note: The ‘stay at home order,’
schools being closed or closures of non-waiver entities are not sole qualifying circumstances.)
2) Is the service critical to the health, safety and well-being of the individual?
3) Use the Integrated Support Star, or other similar tool, to identify other appropriate alternatives that are available to
support the individual including other HCBS services, natural supports, technology, etc.
4) Is the temporary, immediate need for intervention and response fall within the purpose and guidelines of home and
community based waiver services?
5) For more examples and information see Determining what support options should be explored during COVID-19
public health emergency later in this document
If it is determined that these flexibilities are warranted, the following options may be used on temporary basis up to a
total of 30 consecutive days per occurrence when the individual receiving services and/or the current direct support
professional has a positive test for COVID-19 or confirmed exposure of COVID-19:
Parent(s), stepparent(s), and legal guardian(s) will temporarily be allowed to provide services to minors up to 40
hours per week but not exceeding the current plan approved units to (as direct support staff via an existing
BDDS approved provider) who are currently using or have a documented intent to use only the following
services:
o Participant assistance and care (PAC) available on the FSW
o Day habilitation available on the FSW and CIH
o Residential habilitation and support (RHS) available on the CIH
An adult spouse will temporarily be allowed to provide services to an adult individual up to 40 hours per week
but not exceeding the current plan approved units to in the following services:
o Structured family caregiving (SFC) available on the CIH
o Participant assistance and care (PAC) available on the FSW
The 40-hour-per-week per paid caregiver limitation will be temporarily waived for adult participants by one sole
paid caregiver providing over 40 hours of service for:
o Participant assistance and care (PAC) available on the FSW
o Residential habilitation and support (RHS) available on the CIH
Any parent(s), stepparent(s), legal guardian(s), and spouse accessing these flexibilities for the first time will need to work
with their provider to meet the provider, state and/or federal hiring and training requirements. All paid family
caregivers must also meet background check requirements currently in place for direct service professionals as outlined
above.
Existing services are those services that have been authorized in the current Cost Comparison Budget as of March 1,
2020.
Remember - these changes are temporary, must meet a COVID-19 related need and be used within your current
waiver budget.
Determining what support options should be explored during COVID-19 public health emergency:
The COVID-19 pandemic has effected every part of our lives; therefore, it can be difficult to determine where to turn for
assistance when typical services or routines have been disrupted. The following table may assist teams when
determining if an individual’s needs may be addressed through the home and community based waiver or other support
options:
HCBS Flexibilities May Be Considered When: Other Support Options Should Be Utilized When:
The BDDS provider in the PCISP has The individual receiving BDDS services is no longer
suspended services due to COVID 19. attending school in person due to closures due to
COVID 19.
The staff for BDDS services in my PCISP aren't
School services are covered by IDEA and you should
providing services because they have been exposed or
work with your local school district in securing those
are ill with COVID 19.
services. For more information or guidance you may
contact INSOURCE at [Link]
I'm the primary caregiver or legal guardian for the
individual with BDDS services and I have been exposed
The individual receiving BDDS services is also
or am ill with COVID 19.
receiving First Steps services and is no longer
receiving in home First Steps services due to COVID
I'm an individual receiving BDDS services and have 19.
been exposed or am ill with COVID 19.
First Steps services are covered by IDEA. Telehealth
might be an option. Contact your First Steps service
coordinator for options.
Guidelines for using PPE include optimally conserving PPE, reusing when possible, and following CDC's strategies for different PPE types. It also emphasizes proper donning and doffing techniques and maintaining hand hygiene before and after removing PPE .
Guidelines suggest that individuals should only participate in outside activities with precautions in place, like social distancing, hand hygiene, and face coverings. Providers may restrict activities if active COVID-19 cases are present. Travel and activities in high-risk areas should be strongly discouraged to reduce exposure risk .
Adjustments include expanding settings where these services can be provided to include the participant's home or the home of a direct support professional, with approval. The expanded settings aim to ensure accessibility and safety, but services in an ICF setting cannot exceed thirty days per participant .
Measures include wearing masks, maintaining social distances, ensuring hygiene practices, supporting cough etiquette, restricting symptomatic visitors or staff, and conducting symptom monitoring. These measures help mitigate transmission risks .
Provisions allow service delivery in an individual's home to ensure continuity of care when regular settings are disrupted. This includes converting residential habilitation settings to Structured Family Caregiving settings if required, based on team evaluations and approval .
Providers should implement several strategies to prevent the spread of COVID-19 in residential settings: keeping individuals, families, and staff informed of COVID-19 status; monitoring for symptoms; supporting hygiene and protective measures like mask-wearing; deep cleaning of facilities; and documenting visitors. Communication should be clear, and infection control training provided to ensure everyone understands protocols .
Flexibilities allow family caregivers to provide services temporarily up to 40 hours per week under specific service categories. These must be related to a COVID-19 need and within the existing budget. Caregiving hours are subject to approval and follow strict criteria to ensure services aren't replacing other funded responsibilities .
Considerations for new admissions into ICF/IID include the specific needs and health risk factors of current residents and potential new residents. Providers should develop plans that support safe visits and admissions, ensuring these plans are shared with relevant authorities. Communication with Integrated Dispute Teams (IDT) is crucial to ensure safety and appropriate transition planning .
Providers must ensure alternate settings are designated as Structured Family Caregiving settings, obtain approval from the participant's support team, and document approval through virtual meetings or emails. Providers must also submit an emergency transition within seven days. The alternate setting may be used for up to sixty days .
Criteria include evaluating if service disruption is due to COVID-19 exposure or positive tests, assessing the critical nature of the service for health and safety, and ensuring the response is within waiver service guidelines. Tools like the Integrated Support Star may assist in exploring alternative support options .