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USLegal received the following as compared to 9 other form sites. You must complete unscheduled assessments according to the requirements, described in Table 2. Except for the first assessment (5-day assessment), each assessment is scheduled according to the resident's length of stay in Medicare-covered Part A care. This page will be updated when: Older versions of the MDS 3.0 RAI Manual are available for reference on theArchived: MDS 3.0 RAI Manuals web page. Include direct observation as well as communication with the resident and direct care staff on all shifts. Each assessment must include all of these: The Medicare-required PPS assessment schedule includes 5-day, 14-day, 30-day, 60-day, and 90-day scheduled assessments. 01. The tips below will help you fill out Mds Assessment Calendar quickly and easily: Open the form in our full-fledged online editor by clicking on Get form. Sign it in a few clicks. A Part A PPS Discharge Assessment is not required if the resident dies on the same day as the end date of the most recent Medicare stay. You may never combine two Medicare-required scheduled assessments. h0_/P$G!zkMHFmB,b(LF%K2v:#fqTd,\lHdmS5,5QFZ1>"Wa.1,-jEWTdIZ=fmc&. xb```b````e`cc@ >d "r;_8O&ij6}/yES LULN18+]u=ai">UpxW. 0
Generally, complete when both of these are true: Complete for a resident who is not currently classified into a RUG-IV therapy group in rare cases where both of these are true: NOTE: The COT observation periods are successive 7-day windows. The Part A resident readmits following a discharge assessment when return was not anticipated, The Part A resident returns more than 30 days after a discharge assessment when return was anticipated, The resident leaves a Medicare Advantage (MA) Plan and becomes covered by Medicare Part A (the Medicare PPS schedule starts over as the resident now begins a Medicare Part A stay), It will not normally resolve itself without intervention by staff or by implementing standard disease-related clinical interventions, and the decline is not considered self-limiting, It impacts more than one area of the residents health status, It requires interdisciplinary review and/or revision of the care plan, The residents overall clinical status is not accurately represented (that is, miscoded) on the erroneous assessment, The error was not corrected via submission of a more recent assessment, The resident was in a RUG-IV Rehabilitation Plus Extensive Services or Rehabilitation group, The resident does not receive any therapy services for 3 or more consecutive calendar days, The resident continues to require Part A SNF-level services, Therapy resumes within 5 days after the last day of therapy, Therapy resumes at the same RUG-IV classification level with the same therapy plan of care, The resident received a level of rehabilitation therapy to qualify for an Ultra High, Very High, High, Medium, or Low Rehabilitation RUG-IV category, The intensity of therapy, as indicated by the total reimbursable therapy minutes delivered and other therapy qualifiers, such as the number of therapy days and disciplines providing therapy, changes to such a degree that it would no longer reflect the RUG-IV classification and payment assigned based on the most recent assessment used for Medicare payment, The resident had qualified for a RUG-IV therapy group on a prior assessment during the residents current Medicare Part A stay, No discontinuation of therapy services occurred between Day 1 of the COT observation period for the COT-OMRA that classified the resident into the current non-therapy RUG-IV group and the ARD of the COT-OMRA that reclassified the resident into a RUG-IV therapy group, Medicare Part A stay ends, but the resident remains in the facility, The resident is physically discharged on the same day or within one day of the end of the Medicare Part A stay, Equal to the end date of the most recent Medicare stay (A2400C) or, If the End Date of the Most Recent Medicare Stay (A2400C).